Facts of the
CaseThe Revenue (Principal Commissioner of Income Tax)
filed appeals before the Delhi High Court under Section 260A of the Income Tax
Act, 1961 against the respondent, M/s Cliff Scaffoldings Pvt. Ltd.Duri...
Facts of the CaseThe present appeals were filed by the Revenue before the
Delhi High Court challenging a common order dated 9 August 2018 passed
by the Income Tax Appellate Tribunal (ITAT) for Assessment Years 2012–1...
Facts of
the CaseThe assessee, a real estate developer, filed its return for AY
2008–09 claiming deductions on various expenditures including brokerage,
software expenses, and payments for maintenance service...
Facts of the CaseThe present appeals were filed by the Revenue before the
Delhi High Court challenging a common order dated 9 August 2018 passed by the
Income Tax Appellate Tribunal (ITAT) for Assessment Years 2012–1...
Facts of the
CaseThe Revenue filed multiple appeals before the Delhi
High Court against the respondent assessee, Vineet Gupta. During the hearing,
counsel for the Revenue submitted that the tax effect involved in the
...
Facts of the CaseThe present appeals were filed by the Revenue before the
Delhi High Court challenging a common order dated 9 August 2018 passed by the
Income Tax Appellate Tribunal (ITAT) for Assessment Years 2012–1...
Facts of the Case
The
petitioner filed its Income Tax Return for AY 2013–14 declaring TDS of
₹15,62,500.
However,
an additional TDS of ₹31,25,000 was not claimed due to oversight.
Th...
Facts of the CaseThe appellant-assessee, INTEC Corporation, filed its return
for Assessment Year 2008–09 declaring income and claiming deduction of ₹3.13
crores under Section 80-IC of the Income Tax Act on ac...
Facts of
the CaseThe Petitioners, Ashoka Big Ventures and Kabana
Agro Foods, filed writ petitions before the Delhi High Court challenging
the action of the Income Tax Department in freezing their bank accounts.D...
Facts of the
Case
The petitioner filed return declaring income, later revised, and
assessment was completed under scrutiny u/s 143(3) read with 144C.
The Assessing Officer issued notice u/s 148 after 4 years ...