Facts of the
CaseThe present writ petitions were filed challenging
six separate assessment orders dated 28.03.2023 passed under Section 153C read
with Section 144 of the Income Tax Act, 1961 for multiple Assessment Ye...
Facts of the Case
The
respondent/assessee, Sumitomo Corporation (Japan), received advance
payments for offshore supplies from Bhakra Beas Management Board (BBMB).
BBMB
deducted TDS amounting to Rs....
Facts of the CaseThe present writ petition pertains to Assessment Year 2014–15,
wherein the petitioner/assessee challenged:
Order
dated 21.07.2022 passed under Section 148A(d) of the Income Tax Act
Co...
Facts of the Case
The
petitioner filed its return for AY 2011–12 declaring nil income after
setting off brought forward business losses and unabsorbed depreciation.
Assessment
under Section 143(3...
Facts of the
CaseThe petitioner challenged six separate assessment
orders dated 28.03.2023 passed under Section 153C read with Section 144 of the
Income Tax Act, 1961 for multiple assessment years (AY 2013–14 to AY ...
Facts of the
CaseThe petitioner, Pratyaksh Apparels Pvt. Ltd.,
challenged multiple assessment orders passed by the respondent authority for
different Assessment Years (AY 2013-14 to AY 2019-20). These assessment order...
Facts of the Case
The
petitioner filed its return for AY 2011–12 declaring nil income after
setting off brought forward business losses and unabsorbed depreciation.
Assessment
under Section 143(3...
Facts of the
CaseThe petitioner challenged multiple assessment
orders dated 28.03.2023 passed for different assessment years (AY 2013–14 to AY
2019–20) under Section 153C read with Section 144 of the Income Tax Ac...
Facts of the
CaseThe petitioner, Sanskriti Exim Pvt. Ltd.,
filed multiple writ petitions before the Delhi High Court challenging six
separate assessment orders dated 28.03.2023 passed under Section 153C read with
Sec...
Facts of the CaseThe petitioner company filed its return of income for AY
2012-13, which was initially processed under Section 143(1) and later
scrutinized under Section 143(3).Subsequently, a notice dated 27.09.2018 u...