Facts of the CaseThe Revenue filed appeals before the Delhi High Court
challenging a common order passed by the Income Tax Appellate Tribunal (ITAT)
concerning Assessment Years 2007–08 and 2009–10.The assessee had ...
Facts of the CaseThe petitioner, M/s Vodafone Idea Ltd., filed writ
petitions challenging an interim order dated 25 March 2019 passed by the Income
Tax Appellate Tribunal (ITAT) concerning Assessment Years 2009–10 an...
Facts of the Case
The
appellant, Sigma Research & Consulting Pvt. Ltd., was engaged in
market research activities in the social sector.
For
Assessment Year 2011–12, the Assessing Office...
Facts of the
CaseThe respondent-assessee, M/s Indian Farm Forestry
Development Cooperative Ltd., is a multi-state cooperative society engaged in
social and economic development activities such as forestry development,...
Facts of the CaseThe petitioner, M/s Vodafone Idea Ltd., filed writ
petitions challenging an interim order dated 25 March 2019 passed by the
Income Tax Appellate Tribunal (ITAT) concerning Assessment Years 2009-10 and
...
Facts of the CaseThe assessee company was engaged in providing investment
advisory and consultancy services to overseas funds (Lok I and Lok II). It
received advisory fees based on committed capital and assets under ma...
Facts of the CaseThe appeal was filed by the Revenue under Section 260A against
the order of the Income Tax Appellate Tribunal concerning Assessment Year
2008–09.The respondent-assessee, M/s Bharti Ventures Ltd...
Facts of the
CaseThe respondent-assessee, M/s Indian Farm Forestry
Development Cooperative Ltd., is a multi-state cooperative society engaged in
social and economic development activities such as forestry projects, wa...
Facts of the CaseThe present appeal was filed by the Revenue under Section
260A of the Income Tax Act, 1961 against the order of the Income Tax
Appellate Tribunal (ITAT) for Assessment Year 2009–10. The respond...
Facts of the
CaseThe appellant-assessee, Shashi Garg, filed an appeal under Section 260A challenging the
order of the Income Tax Appellate Tribunal which upheld additions made by the
Assessing Officer.
The assessee ...