Facts of the CaseThe petitioner, Amtek Transportation Systems Limited,
challenged an order dated 08.04.2023 whereby its application for stay of a
demand notice was rejected without providing cogent reasons. An ex parte...
Facts of the CaseThe petitioner, Mohit Agarwal, filed a writ petition
challenging the assessment order dated 21.03.2023, along with demand notice
issued under Section 156 of the Income Tax Act, 1961 and consequential
...
Facts of the CaseThe present writ petition pertains to Assessment Year
2016–17, wherein the petitioner challenged the validity of the order dated
31.03.2023 passed under Section 148A(d) of the Income Tax Act, 1961, a...
Facts of the CaseThe present writ petition was filed challenging the
order dated 28.07.2022 passed under Section 148A(d) of the Income Tax Act, 1961
along with the consequential notice issued under Section 148 for Asse...
Facts of the
Case
The case pertains to Assessment Year 2018–19.
The petitioner challenged:
Reassessment order dated 18.03.2023 under Sections 147/144B
Demand notice under Section 156
Penalty...
Facts of the
CaseThe present appeal pertains to Assessment Year
2012–13 and arises from an order passed by the Income Tax Appellate
Tribunal dated 06.09.2019.The respondent/assessee, a registered charitable
s...
Facts of the
CaseThe present case pertains to Assessment Year
2012–13, where the assessee, a registered charitable society, filed its
return declaring nil income after claiming exemption under the Income
Tax ...
Facts of the CaseThe petitioner, The Northern India Zonal Assembly of the
Mar Thoma Church, challenged an assessment order dated 30.12.2017 for
Assessment Year 2010–11. The impugned order was based on a reasses...
Facts of the CaseThe petitioner, The Northern India Zonal Assembly of the
Mar Thoma Church, challenged the assessment order dated 28.03.2022
concerning AY 2013–14. The impugned order was based on a reassessment...
Facts of the
CaseThe petitioner/assessee filed a writ petition
challenging the validity of notices issued under Sections 148 and 142(1) of the
Income Tax Act for Assessment Year 2012–13. The reassessment proceedings...