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PR. Commissioner of Income Tax–9 vs M/s YKK India Pvt. Ltd. | Delhi High Court | Remand to TPO under Rule 29 of ITAT Rules | No Prejudice to Revenue

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 145
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Facts of the CaseThe present appeals were filed by the Revenue against a common order dated 22.10.2018 passed by the Income Tax Appellate Tribunal (ITAT).The ITAT had remitted the matter back to the Transfer Pricing ...

PR. Commissioner of Income Tax–9 vs M/s YKK India Pvt. Ltd. | Delay Condonation & Remand to TPO under Rule 29 ITAT Rules – Delhi High Court

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 150
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Facts of the CaseThe present appeals were filed by the Revenue against a common order dated 22.10.2018 passed by the Income Tax Appellate Tribunal (ITAT). The Tribunal had remitted the matter back to the Transfer Pri...

G.K. Choksi and Co. vs Principal Commissioner of Income Tax (Central) & Anr. – Interest on Delayed Audit Fees under Section 142(2A) of Income Tax Act

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 159
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Facts of the CaseThe petitioner, G.K. Choksi and Co., was appointed as an auditor by the Assessing Officer under Section 142(2A) of the Income Tax Act, 1961. The petitioner conducted audits for three entities: Futur...

Blackstone Capital Partners (Singapore) VI FDI Three Pte. Ltd. vs Assistant Commissioner of Income Tax (International Taxation) – Reassessment u/s 148A(d) Set Aside for Non-Application of Mind on Capital Transaction Issue

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 187
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Facts of the CaseThe petitioner, a non-resident entity, purchased shares of an Indian company, namely Agile Electric Sub-Assembly Pvt. Ltd. The transaction involved payment to various sellers, including a resident sel...

Subhash Bhatia HUF vs Income Tax Officer Wa3. rd-47(1), Delhi & Anr. – Delhi High Court Quashes Reassessment Proceedings under Sections 148A & 148 (AY 2017-18)

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 150
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Facts of the CaseThe petitioner, Subhash Bhatia HUF, challenged reassessment proceedings initiated by the Income Tax Department. An assessment order had earlier been framed under Section 147 read with Sections 144 an...

InterGlobe Enterprises Pvt. Ltd. vs Pr. Commissioner of Income Tax Delhi-4 (2023) – Double Taxation on Interest Income & Scope of Section 264 Explained

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 143
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Facts of the CaseThe petitioner, InterGlobe Enterprises Private Limited, filed its return for Assessment Year 2014-15, including a sum of ₹1,51,67,868/- as interest income received on income tax refunds pertaining ...

PR. Commissioner of Income Tax-7 vs South Delhi Promoters Ltd. (Delhi High Court) – Reassessment u/s 147 Invalid Due to Change of Opinion & Lack of Failure to Disclose Material Facts

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 145
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Facts of the CaseThe assessee company received share application money amounting to ₹16.88 crore at a premium. During the original assessment under Section 143(3), the Assessing Officer (AO) examined the identity, ...

M/s RELX India Private Limited vs Deputy Commissioner of Income Tax Circle 78(1) Delhi & Ors. – Refund Claim, Recovery under Section 226(3) & Stay of Demand | Delhi High Court

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 167
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Facts of the CaseThe petitioner, M/s RELX India Private Limited, filed a writ petition seeking issuance of a refund amounting to ₹6,95,43,498/- along with applicable interest after adjusting 20% of the disputed tax ...

Delhi Sports and Entertainment Pvt. Ltd. vs Deputy Commissioner of Income Tax (Circle 7(1)) | Reassessment u/s 148 & 148A(d) Set Aside Due to Lack of Independent Application of Mind (Delhi High Court)

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 153
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 Facts of the CaseThe petitioner challenged the order passed under Section 148A(d) and the consequent notice issued under Section 148 of the Income Tax Act for Assessment Year 2017–18. The reassessment proceedi...

Commissioner of Income Tax vs Sony Mobile Communications India Pvt. Ltd. (Now Merged with Sony India Pvt. Ltd.) – Section 143(2), 143(3), 144C & 292B | Assessment on Non-Existent Entity Held Void (Delhi High Court)

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13/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 158
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Facts of the CaseThe present appeal arose from the order of the Income Tax Appellate Tribunal concerning Assessment Year 2010–11. The assessee was originally Sony Ericsson Mobile Communications (India) Pvt. L...