Facts of the CaseThe petitioner, Xerox Medicorp Ltd., challenged reassessment
proceedings relating to Assessment Years 2002-03 and 2004-05.The original assessments had been completed under Section
143(3) of the Income-...
Facts of the
Case
Coffee Day Global Limited (CDGL) was a subsidiary of Coffee Day
Enterprises Limited (CDEL).
SEBI discovered diversion of funds amounting to approximately
₹3,535 crore from several sub...
Facts of the Case
DHFL, a listed housing finance company, was under investigation in
relation to large-scale financial irregularities and alleged fraud.
NFRA conducted an Audit Quality Review of DHFL's statuto...
Facts of the CaseThe writ petitions involved identical issues and were
therefore heard together by the Delhi High Court.The petitioner, Xerox Medicorp Ltd., had originally been
assessed under Section 143(3) of the Inco...
Facts
of the CaseThe assessee filed his return of income
for the Assessment Year 2001-02. During the assessment proceedings under
Section 143(1) of the Income Tax Act, 1961, the Assessing Officer (AO) observed
that t...
Facts of the CaseA search operation under Section 132(1) of the Income-tax Act
was conducted at the premises of D.D. Axles Pvt. Ltd. on 29 August 1996 and
continued until 30 August 1996.During the search, books of acco...
Facts of the CaseThe Revenue filed an appeal before the Delhi High Court
challenging the order dated 29.06.2007 passed by the Income Tax Appellate
Tribunal (ITAT) for Assessment Year 2001-02.The assessee, Vijay Singh, ...
Facts of the CaseThe appeal was filed by the Commissioner of Income Tax
(Revenue), representing the Central Government, against Delhi Tourism &
Transportation Development Corporation Ltd. (DTTDC), a State Governmen...
Facts of the CaseThe Revenue filed an appeal before the Delhi High Court
challenging the order dated 13.08.2009 passed by the Income Tax Appellate
Tribunal (ITAT) for Assessment Year 2006-07.The dispute concerned the t...
Facts of the CaseThe Revenue filed an appeal before the Delhi High Court
against the order of the Income Tax Appellate Tribunal (ITAT) dated 19.02.2009
for Assessment Year 1999-2000.The assessee company had shown an ou...