Facts of the
CaseThe petitioner challenged three notices issued by
the Income Tax Department concerning Assessment Year 2019–20:
Notice dated 27.03.2023 under Section 148A(b)
Notice dated 30.03.2023 under Sectio...
Facts of the Case
The
case pertains to AY 2017–18.
Reassessment
proceedings were initiated by the Income Tax Department.
The
alleged escaped income was ₹30,70,526, which is below ₹50...
Facts of the CaseThe present case pertains to Assessment Year 2012–13, where
the assessee, M/s Anant Overseas Pvt. Ltd., earned dividend income amounting to
₹4,06,63,807 from Uflex Ltd., its promotee company, contr...
Facts of the
Case
The petitioner was granted a refund of Rs. 8,25,03,352/- via
assessment order dated 08.09.2022.
However, the said refund did not include interest under Section
244A.
The petitioner ...
Facts of the CaseThe present appeals were filed by the Revenue against the
order dated 31.08.2022 passed by the Income Tax Appellate Tribunal concerning
Assessment Year 2012–13. The assessee, M/s Anant Overseas Pvt. ...
Facts of the
CaseThe petitioner, Sanskriti Exim Pvt. Ltd., challenged
six separate assessment orders dated 28.03.2023 passed for multiple assessment
years (AYs 2014–15, 2015–16, 2016–17, 2017–18, 2018–19, an...
Facts of the CaseThe present writ petition pertains to Assessment Year 2019–20.
The petitioner contended that it did not receive the notice dated 04.03.2023
issued under Section 148A(b) of the Income Tax Act, 1961. I...
Facts of the CaseThe petitioner, IJM Dewas (Mauritius) Ltd., filed the
present writ petition concerning Assessment Year 2019–20 challenging
reassessment proceedings initiated by the Revenue.The core grievance of the ...
Facts of the
Case
The petitioner was issued a notice dated 31.03.2023 under Section
148A(b) for AY 2019–2020.
The petitioner was required to submit a reply by 13.04.2023.
On 13.04.2023, the petitioner so...
Facts of the
CaseThe present writ
petition pertains to Assessment Year 2019–20. The petitioner contended
that it did not receive the notice dated 04.03.2023 issued under Section
148A(b) of the Income Tax Act,...