Facts of the
Case:The appeal concerns the assessment for the year
2011-12 of Sh. Teekam Singh against the Income Tax Officer (ITO), Ward-5(2)(4),
Noida, with respect to proceedings under section 147 r.w.s. 144 of the
...
Facts of the
CaseThe assessee, Anil Kumar HUF, filed its
return of income for AY 2021–22 and intended to opt for the concessional tax
regime under Section 115BAC. However, the prescribed Form 10-IE was not filed wit...
Facts of the CaseA search under Section 132 was conducted in a group of connected
assessees, including the present assessees. Pursuant to the search, assessments
were framed under Section 143(3) read with Section 153A....
Facts of the CaseA search under Section 132 was conducted in a group of connected
assessees, including the present assessees. Pursuant to the search, assessments
were framed under Section 143(3) read with Section 153A....
Facts of the
CaseThe assessee, Hindustan Power Projects Pvt. Ltd.,
filed appeals before the Income Tax Appellate Tribunal (ITAT), Delhi Bench
against revisionary orders passed by the Principal Commissioner of Income T...
Facts of the
CaseThe assessee companies, engaged in real estate
development, made payments towards External
Development Charges (EDC) to HUDA on behalf of other entities. The
Assessing Officer (AO), based on informat...
Facts of the
CaseThe assessee companies were engaged in real estate
business and had made payments towards External
Development Charges (EDC) to HUDA on behalf of other entities. During
TDS verification, it was found...
Remand of Addition under Section 69 due to Lack of Proper Enquiry by
CIT(A): ITAT Delhi in DCIT vs. Chaudhary Ventures Pvt. Ltd. (ITA No.
1968/Del/2024)Facts of the
CaseThe assessee, Chaudhary Ventures Pvt. Ltd.,
is ...
Facts of the CaseThe assessee, Nobel Overseas Ltd., was subjected to
assessment proceedings for A.Y. 2017–18. Due to non-compliance with notices
issued by the Assessing Officer (AO), the assessment was completed ex-p...
Facts of the CaseA search and seizure action under Section 132 was
conducted on the assessee. During post-search analysis, a WhatsApp chat between
the partner of the assessee firm and a representative of M/s Omaxe Ltd....