Suresh Gulati vs Principal Commissioner of Income Tax-X & Anr. | Interest on Seized Amount under Section 132B(4)(a) read with Section 244A of Income Tax Act

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 19
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Facts of the CaseThe petitioner, Suresh Gulati, filed a writ petition seeking directions to the Income Tax Department to pay interest on the amount seized during search proceedings, as mandated under Section 132B(4)(a...

Avijai Charitable Trust vs Commissioner of Income Tax (Exemptions) & Ors. (2021) – Transfer of Jurisdiction under Section 127 of Income Tax Act Violating Principles of Natural Justice

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 24
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Facts of the CaseThe Petitioner, Avijai Charitable Trust, filed a writ petition challenging an order dated 05 January 2021 passed under Section 127 of the Income Tax Act, 1961, whereby its case was transferred from on...

Commissioner of Income Tax (Exemptions), Delhi vs Hamdard National Foundation (India)| Sections 11, 12, 13(2)(b), 13(3) of Income Tax Act, 1961

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 20
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Facts of the Case The assessee, a charitable foundation, received: Donations and corpus contributions from Hamdard Dawakhana (Wakf). Rental income from properties leased to the same entity. The...

Sony India Pvt. Ltd. vs. Assistant Commissioner of Income Tax & Ors. (2021:DHC:4065-DB) – Delhi High Court | Sections 200A & 206CB | Stay on Demand Due to Pending Rectification

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 22
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Facts of the CaseThe Petitioner, Sony India Pvt. Ltd., filed a writ petition challenging an intimation/order-cum-deemed demand notice dated 31 October 2021 issued under Sections 200A and 206CB of the Income Tax Act, ...

Commissioner of Income Tax (Exemptions) Delhi vs Hamdard National Foundation (India) – Adequacy of Rent under Section 13(2)(b) of Income Tax Act, 1961

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 16
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Facts of the CaseThe respondent, Hamdard National Foundation (India), a charitable institution, had leased its properties to Hamdard Dawakhana (Wakf), a related entity contributing substantial donations. The Assessing ...

EY Global Services Ltd. & EYGBS (India) Pvt. Ltd. vs Assistant Commissioner of Income Tax & Ors. – Delhi High Court (2021) | Software Payments Not Royalty under Section 9(1)(vi) & India-UK DTAA

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 23
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Facts of the CaseThe petitioners, EY Global Services Ltd. (UK) and EYGBS (India) Pvt. Ltd., challenged the rulings dated 10.08.2016 passed by the Authority for Advance Rulings (AAR).EY Global Services Ltd. (UK) provid...

EY Global Services Ltd. & Anr. vs Assistant Commissioner of Income Tax & Ors. – Delhi High Court on Taxability of Software Payments as Royalty under Section 9(1)(vi) & India-UK DTAA

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 28
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Facts of the Case EY Global Services Ltd. (UK) provided technology services, software licenses, and support services to EY network entities globally. EYGBS (India) Pvt. Ltd. entered into agreements to re...

Alcatel Lucent International vs Income Tax Officer, TDS Ward-1(1)(1), International Taxation (Delhi High Court, 2021) – Delay in Disposal of Section 197 Application and Mandamus for Time-Bound Decision

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 22
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Facts of the CaseThe petitioner, Alcatel Lucent International, filed an application dated 30 August 2021 under Section 197 of the Income Tax Act for issuance of a certificate authorizing lower or nil deduction of tax ...

RAJESH BHATIA (LR of Late Ram Lal Bhatia) vs INCOME TAX OFFICER WARD 35(1), NEW DELHI (Delhi High Court, 2021) – Illegal Property Attachment Despite No Outstanding Tax Demand under Sections 132 & 153A Income Tax Act

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 20
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Facts of the CaseThe present writ petition was filed challenging the attachment and creation of charge on a residential property situated at Navi Mumbai. The petitioner also sought damages on account of arbitrary acti...

PR. Commissioner of Income Tax-4 vs M/s Giesecke & Devrient (India) Pvt. Ltd. | Delhi High Court | Section 271(1)(c) Penalty | Transfer Pricing | AY 2007-08

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18/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 23
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Facts of the CaseThe Respondent, a wholly owned subsidiary of Giesecke & Devrient GmbH, was engaged in the business of wholesale trading of currency verification and processing systems (CVPS), SIM card systems, an...