Facts of the CaseThe petitioners, including Twylight Infrastructure
Pvt. Ltd. and several other assessees, challenged reassessment notices issued
by the Income Tax Department for reopening completed assessments.The rea...
Facts of the CaseThe petitioners received reassessment notices under Section 148 of the Income-tax Act, 1961,
along with orders passed under Section
148A(d). These notices were issued for reopening completed assessment...
Facts of the CaseThe petitioners challenged reassessment proceedings
initiated by the Income Tax Department through notices issued under Section 148 of the Income-tax Act, 1961
for reopening completed assessments. The ...
Facts of the
CaseThe petitioners, including Twylight Infrastructure
Pvt. Ltd. and several other assessees, filed writ petitions before the Delhi
High Court challenging reassessment proceedings initiated by the Income ...
Facts of the
CaseThe petitioners, including Twylight Infrastructure
Pvt. Ltd. and several other assessees, filed writ petitions before the Delhi
High Court challenging reassessment proceedings initiated by the Income ...
Facts of the CaseThe petitioners, including Twylight Infrastructure Pvt. Ltd. and several other assessees,
challenged reassessment proceedings initiated by the Income Tax Department.The Assessing Officer issued notices ...
Facts of the CaseThe petitioners challenged reassessment proceedings
initiated by the Income Tax Department through notices issued under Section 148 of the Income-tax Act, 1961.The reassessment notices were issued after...
Facts of the CaseThe petitioners in several writ petitions
challenged reassessment proceedings initiated by the Income Tax Department
under the provisions of the Income Tax
Act, 1961. The reassessment notices were iss...
Facts of the
CaseMultiple taxpayers, including Twylight
Infrastructure Pvt. Ltd., Abhinav Jindal, Mangla Gupta, Rajesh
Gupta HUF and others, filed writ petitions challenging reassessment notices
issued by the Income-...
Facts of the CaseThe petitioners filed multiple writ petitions
challenging reassessment proceedings initiated by the Income Tax Department.
The reassessment proceedings were initiated through an order under Section 148...