Facts of the
Case
Multiple writ petitions were filed challenging reassessment notices
issued under Section 148.
The notices pertained to AY 2016–17 and 2017–18.
Alleged escaped income in all cases was ...
Facts of the
CaseThe present batch of writ petitions concerns
reassessment proceedings for Assessment Years 2016–17 and 2017–18. The primary
dispute revolves around the validity of reassessment notices issued unde...
Facts of the
Case
Multiple writ petitions were filed challenging reassessment notices
for AY 2016–17 and 2017–18.
The alleged escaped income in all cases was less than ₹50 lakh.
Notices were is...
Facts of the
Case
Petitioners were issued reassessment notices under Section 148 for
AY 2016–17 and 2017–18.
The alleged escaped income in all cases was below ₹50 lakhs.
Notices were issued after 01....
Facts of the
CaseThe present batch of writ petitions concerns
reassessment proceedings initiated under Section 148 of the Income Tax Act,
1961 for Assessment Years (AY) 2016–17 and 2017–18. The petitioners (assess...
Facts of the
CaseThe present batch of writ petitions involved
multiple assessees challenging reassessment proceedings initiated by the Income
Tax Department for Assessment Years 2016–17 and 2017–18.The core issue ...
Facts of the
CaseThe present batch of writ petitions concerned
reassessment proceedings initiated under Section 148 of the Income Tax Act for
Assessment Years 2016–17 and 2017–18.Amendments introduced by the Finan...
Facts of the
CaseThe present appeal was filed by the Revenue against
the order dated 19.08.2021 passed by the Income Tax Appellate Tribunal
concerning Assessment Year 2011–12.The respondent-assessee, engaged in the ...
Facts of the
CaseThe present appeal was filed by the Revenue before
the Delhi High Court challenging the order of the Income Tax Appellate Tribunal
(ITAT) dated 20.03.2020 for Assessment Year 2011–12.The respondent ...
Facts of the
CaseThe petitioner, Saraswati Petrochem Pvt. Ltd.,
filed its Return of Income for AY 2011–12, which was processed under Section
143(1) of the Income Tax Act, 1961.After a lapse of more than six years, t...