Facts of the
CaseThe assessee, Vatika Construction Pvt. Ltd.,
engaged in construction business, filed its income tax return for Assessment
Year 2004-05. During assessment, the Assessing Officer (AO) questioned payment...
Facts of the
CaseThe assessee, AIPECCS Society, was a registered
society established for educational purposes and was managing multiple schools.A search and seizure operation under Section 132
was conducted at the pre...
Facts of the
CaseThe Commissioner of Income Tax (Appellant) filed
multiple appeals against J.B. Roy and others (Respondents) relating to
reassessment notices and income tax liability adjustments. The appeals were
con...
Facts of the
CaseThe Assessee, All India Personality Enhancement
& Cultural Centre for Scholars (AIPECCS) Society, was a society
registered under the Societies Registration Act, 1860, established with the
primary...
Facts of the
CaseThe petitioner, DLF Commercial Projects
Corporation, a partnership firm engaged in real estate development and
sale, filed its income tax return for AY 2009-10 declaring a loss of ₹20.12
crores. Th...
Facts of the
CaseThe assessee, All India Personality Enhancement
& Cultural Centre for Scholars (AIPECCS) Society, is a society registered
under the Societies Registration Act, 1860, engaged in running educational...
Facts of the
CaseThe petitioner, National Thermal Power
Corporation Ltd., incorporated on 7th November 1975 as a public sector
undertaking, was engaged in the development of thermal power stations,
including construc...
Facts of the
Case
The petitioner was subjected to income tax assessment proceedings
for multiple assessment years.
The Income Tax Appellate Tribunal had passed an order on 29.06.2012
regarding attributi...
Facts of the
Case:
Maruti Suzuki India Ltd. filed its original income tax return for
A.Y. 1998-99 on 30.11.1998 and revised it on 29.03.2000. Regular
assessment was completed on 30.03.2001.
The Assessin...
Facts of the
Case:The assessee, Goyal M.G. Gases Pvt. Ltd., declared
an income of Rs. 23,74,987/- for A.Y. 1989-90. The Assessing Officer (AO)
assessed income at Rs. 11,24,84,725/-, disallowing depreciation of Rs.
37...