Commissioner of Income Tax v. M/s. [Respondent Name] (Albeit Respondent Name not fully individualised in the summary text, generally formatted as: Commissioner of Income Tax v. Respondent)

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06/06/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 38
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2. Facts of the Case The revenue filed multiple Income Tax Appeals (ITAS No. 1093/2009, 1091/2009, and 1094/2009) before the Hon'ble High Court of Delhi against the respondent-assessee. The d...

Director General of Income Tax (Admn.) & Anr. vs. Board for Industrial & Financial Reconstruction (BIFR) & Ors. | Validity of Income Tax Concessions After Discharge of Sick Industrial Company Reference under SICA Section 18

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06/06/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 47
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Facts of the Case Omnibus Writ Petitions: The Income Tax Department filed multiple writ petitions under Article 226 of the Constitution of India challenging various individual orders passed by the Boa...

Motor General Finance Ltd. vs. Commissioner of Income Tax: Taxability of Unclaimed Insurance Surpluses Credited to Profit & Loss Account as Business Income under Section 28(i) of the Income-Tax Act, 1961

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1. Facts of the Case Nature of Business: Motor General Finance Ltd. (the Appellant/Assessee) was a limited company engaged in the business of financing commercial vehicles through hire-purchase agreem...

Commissioner of Income Tax vs. [Respondent Name] | Tax Effect Below Monetary Limit for Filing Appeal under Section 260A of Income Tax Act

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06/06/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 48
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Facts of the Case The Revenue (Income Tax Department) filed cross-appeals under Income Tax Appeal (ITA) Nos. 1057/2009 and 593/2010 before the Hon’ble Delhi High Court. The core addition ma...

Director General of Income Tax (Admn.) & Anr. Vs. Board for Industrial & Financial Reconstruction (BIFR) & Ors. — Validity of Revenue Concessions in a Sanctioned Rehabilitation Scheme upon Discharge of Reference post Net-Worth Turnaround under SICA.

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1. Facts of the CaseThe Income Tax Department (the petitioners) launched an omnibus challenge across multiple writ petitions (including WP (C) No. 1953 of 2011) against various orders issued between 2005 and 2009 by th...

Commissioner of Income Tax vs Goyal M.G. Gases Pvt. Ltd. – Assessment Year 1999-2000 | Section 143(3), 153(3)(ii), 263, Income Tax Act

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 Facts of the CaseThe respondent, Goyal M.G. Gases Pvt. Ltd., filed its income tax return for the assessment year 1999-2000 declaring an income of Rs. 2.31 crores. The Assessing Officer completed the assessment ...

M/s Vardan Buildcon, M/s Tarini Developers & M/s Malika Developers vs Asstt. Commissioner of Income Tax – Business Income vs Agricultural Income Dispute under ITA 2011

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 Facts of the CaseThree partnership firms, M/s Vardan Buildcon, M/s Tarini Developers, and M/s Malika Developers, sister concerns with a common partner, reported agricultural income from the purchase and sale of...

M/s Vardan Buildcon & Ors. vs Asstt. Commissioner of Income Tax, Circle-27(1), New Delhi – Business Income from Sale of Land vs Agricultural Income, ITA Nos. 429/2011, 430/2011 & 431/2011, Delhi High Court, 2011:DHC:1186-DB

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Facts of the Case The three partnership firms were formed on the same date, with at least one common partner. As per their partnership deeds, the firms were engaged in real estate development, building c...

Director General of Income Tax (Admn.) & Anr. vs. Board for Industrial & Financial Reconstruction & Ors. – Whether Discharge of Reference on Positive Net Worth Entitles the Revenue Department to Withdraw Concessions Granted Under a Sanctioned Scheme Under Section 18 / Section 19 of SICA, 1985

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. Facts of the Case The Income Tax Department (the Department) filed an omnibus challenge via a series of writ petitions under Article 226 of the Constitution of India. The petitions challenged mult...

Income Tax Appellate Tribunal ITA Nos. 688 & 689/2008 – Assessee vs. Revenue – Delhi High Court, Section Pertaining to Tax Effect below ₹10 Lacs

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Facts of the CaseThe case concerns ITA Nos. 688 and 689 of 2008 filed by the assessee challenging the orders of the Revenue. Both appeals pertain to the same assessee and involve claims related to income tax assessme...