Facts of the CaseAsia Satellite Telecommunications Co. Ltd., a company
incorporated in Hong Kong, was engaged in the business of providing satellite
communication and broadcasting facilities through satellites statione...
Facts of the Case
The
assessee entered into hire-purchase agreements with its customers.
The
Assessing Officer treated those agreements as transactions yielding
interest income.
On
that ba...
Facts of the CaseAsia Satellite Telecommunications Co. Ltd., a company
incorporated in Hong Kong, was engaged in the business of providing private
satellite communication and broadcasting facilities through satellites ...
Facts of the CaseThe assessee filed its return of income for Assessment Year
2003-04 declaring income of approximately Rs. 11.87 crores. The assessment was
completed after certain additions and the income was assessed ...
Facts of the CaseAsia Satellite Telecommunications Co. Ltd., a company incorporated
in Hong Kong, operated communication satellites providing transponder capacity
to television channels and communication companies. The...
Facts of the Case
The
Revenue filed an appeal before the Delhi High Court under the Income-tax
Act.
In
the affidavit filed by the Revenue, the tax effect was stated to be ₹18,69,792.
Cou...
Facts of the Case
Asia
Satellite Telecommunications Co. Ltd., incorporated in Hong Kong, was
engaged in operating communication and broadcasting satellites.
The
company owned and operated satellite...
Facts of the CaseL.S. Cables Ltd., a company incorporated in Korea, was engaged
in executing various Fibre Optic Cabling Projects for Power Grid Corporation of
India Ltd. (PGCIL). The projects involved separate contrac...
Facts of the Case
Asia
Satellite Telecommunications Co. Ltd., incorporated in Hong Kong, was
engaged in operating communication and broadcasting satellites.
The
company owned and operated satellite...
Facts of the Case
A
search and seizure operation under Section 132 of the Income-tax Act was
conducted on 19 November 1999 at the residential and office premises of
the assessee.
Pursuant
to ...