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 ...
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...
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...
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...
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...
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
...
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,
...
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 ...
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...
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...