Facts of the CaseThe Revenue filed appeals (ITA No. 314/2009 and ITA No.
545/2009) against the common order of the Income Tax Appellate Tribunal (ITAT),
which had upheld the decision of the Commissioner of Income Tax (...
Facts of the Case
Search
and Seizure Proceedings: The case arose out of
search and seizure operations conducted against a specific group of
assessees.
Block
Assessment Initiation: Following t...
Facts of the CaseThe appellant, M/s. Triveni Engineering & Industries Ltd.,
approached the Hon'ble Delhi High Court by filing an appeal under Section
260A of the Income Tax Act, 1961, challenging the concurrent ord...
Facts of the CaseThe Assessing Officer disallowed a substantial
portion of royalty expenditure claimed by the assessee and treated the same as
capital expenditure. An addition of Rs.1,06,52,765/- was made out of the to...
Facts of the Case
Background:
The Revenue preferred a large batch of income tax appeals before the High
Court of Delhi. ITA No. 200/2008 (Commissioner of Income Tax v. Pawan
Gupta) was treated as the ...
Facts of the CaseThe Income Tax Department (Revenue) preferred multiple
appeals against M/s Lufthansa German Airlines regarding the non-deduction of
Tax Deducted at Source (TDS) on airline tickets provided to its trave...
Facts of the CaseThe Revenue (represented by the Commissioner of Income Tax)
preferred a series of statutory income tax appeals—specifically ITA Nos.
375/2009, 465/2009, and 382/2009—before the High Court of Delhi....
Facts of the CaseThe Revenue (Income Tax Department) preferred statutory
cross-appeals (ITA Nos. 375/2009, 465/2009 and accompanying CM applications)
before the Division Bench of the Hon’ble High Court of Delhi...
Facts of the CaseThe Appellant, represented by the Commissioner of Income Tax
(the Revenue), preferred a statutory tax appeal docketed as ITA No. 213/2009
before the Division Bench of the High Court of Delhi. Alongside...
Facts
of the Case1.
A
search and seizure operation was conducted resulting in block assessment
proceedings.2.
The
assessee's case was connected with M/s M...