Facts of the CaseThe present matter involves appeals filed by the Principal
Commissioner of Income Tax (Central)-3, New Delhi against Jakhotia Plastics
Pvt. Ltd. before the Delhi High Court under Income Tax Appeal Nos....
Facts of the CaseThe present writ petitions were filed by the petitioners
challenging an order dated 31.10.2019 passed by the Central Administrative
Tribunal (CAT).The dispute revolved around whether the past service
...
Facts of the
CaseThe petitioners, Religare Enterprises Ltd.
and its subsidiary Religare Finvest Ltd., are engaged in financial
services including lending and investment.For Assessment Year 2016–17, their returns
we...
Facts of the
Case
The assessee, Kohinoor Foods Ltd., was engaged in manufacturing and
trading of rice.
Assessments for AY 1999–2000, 2000–2001, and 2001–2002 were
completed under Section 143...
Facts of the CaseThe petitioners, being the Principal Chief Commissioner of
Income Tax and others, challenged an order dated 31.10.2019 passed by the
Central Administrative Tribunal. The Tribunal had ruled in favor of ...
Facts of the
CaseThe present appeals were filed by the Revenue
challenging the order of the Income Tax Appellate Tribunal (ITAT), which had
allowed the appeals of the assessee and deleted additions made by the Assessi...
Facts of the Case
The
petitioners, Experion Developers Pvt. Ltd. and Experion
Hospitality Pvt. Ltd., were engaged in real estate development.
Original
assessments for AY 2012–13 were completed un...
Facts of the CaseThe Revenue conducted a search and seizure operation under
Section 132 of the Income Tax Act at the residence of the Secretary General of
the assessee association and collected documents allegedly indi...
Facts of the
Case
The assessee, Kohinoor Foods Ltd., was engaged in manufacturing and
trading of rice.
Assessments for AY 1999–2000, 2000–2001, and 2001–2002 were
completed under Section 143...
Facts of the CaseThe respondent-assessee, a private limited company, filed
its return declaring substantial income for AY 2009–10. During assessment under
Section 143(3), the Assessing Officer made a disallowance of ...