Facts of the CaseThe case relates to the assessment year 2002-03.
The respondent/assessee was engaged in marketing diesel generator sets
manufactured by M/s. Wartsila Corporation of Helsinki, Finland. The assessee
and...
Facts of the CaseThe assessee, Nokia India Pvt. Ltd., filed income
tax returns for Assessment Years 2000-01 and 2001-02. The cases were selected
for scrutiny and notices were issued under Section 142 of the Income-tax ...
Facts of the CaseThe Revenue preferred a series of interconnected
income tax appeals (ITA No. 962/2009, ITA No. 963/2009, ITA No. 993/2009, and
ITA No. 1004/2009) alongside miscellaneous applications before the Hon’b...
Facts of the CaseThe Appellant (Revenue) preferred multiple Income
Tax Appeals (ITA No. 962/2009, ITA No. 963/2009, ITA No. 993/2009, and ITA No.
1004/2009 along with connected Civil Miscellaneous applications) before ...
Facts of the CaseThe Income Tax Appellate Tribunal (ITAT), by its
order dated 23.09.2008, decided appeals relating to Assessment Years 2002-03
and 2003-04 in favour of the assessee. Consequently, substantial refund amo...
Facts of the CaseThe Revenue preferred multiple Income Tax Appeals
before the Delhi High Court challenging the orders passed by the Income Tax
Appellate Tribunal. During the hearing, it was brought to the notice of the...
Facts of the CaseNokia India Pvt. Ltd. filed income tax returns for
Assessment Years 2000-01 and 2001-02. The cases were selected for scrutiny and
notices were issued under Section 142 of the Income-tax Act. Assessment...
Facts of the Case
The
Assessing Officer made certain additions during assessment proceedings.
Based
on those additions, penalty proceedings were initiated against the
assessee.
The
Income Ta...
Facts of the CaseM/s Eicher Ltd. had advanced Inter-Corporate
Deposits to M/s Lottee Holdings (P) Ltd. The Assessing Officer made an addition
of ₹68,25,000 towards interest allegedly accrued on such deposits on the g...
Facts of the CaseThe Revenue preferred an appeal before the Delhi
High Court under Section 260A of the Income-tax Act challenging the orders
passed by the Commissioner of Income Tax (Appeals) [CIT(A)] and the Income Ta...