Facts of the
CaseThe assessee-company filed its return for
Assessment Year 2002-03 declaring nil income. Under the normal provisions of
the Income Tax Act, the income resulted in a loss of ₹1,46,90,960.
Consequentl...
FACTS OF THE CASE
The
Revenue preferred an appeal before the Delhi High Court under the
Income-tax Act.
The
issue sought to be raised by the Revenue had already been adjudicated upon
by the Su...
Facts of the CaseThe respondent/assessee, Sahara Airlines Ltd., entered into
operational agreements with two prominent foreign companies: M/s. Amadeus
Marketing (a Spanish entity) and M/s. Galileo International (an Ame...
FACTS OF THE CASE
The
assessee was engaged in the manufacture and supply of pharmaceutical
formulations.
The
assessee paid commission to various agents and agencies for assisting in
tran...
Facts of the Case
The
Respondent/Assessee, Sahara Airlines Ltd., entered into operational
arrangements with two international companies: M/s. Amadeus Marketing
(a Spanish company) and M/s. Galileo Int...
Facts of the
CaseThe assessee, Woodward Governor India Ltd., claimed
warranty expenses aggregating to ₹67,05,149 during the relevant assessment
year. The claim comprised:
Warranty expenses incurred on actual basis...
FACTS OF THE CASE
The
assessee was engaged in the business of manufacturing pharmaceutical
formulations and supplying medicines to government institutions as well as
private customers.
The
...
Facts of the CaseThe respondent-assessee, Sahara Airlines Ltd., entered into
commercial infrastructure agreements with two foreign computer reservation
systems (CRS/GDS) providers: M/s. Amadeus Marketing (a Spanish com...
FACTS OF THE CASE
The
petitioner challenged the initiation of proceedings under Section 153A of
the Income-tax Act, 1961.
A
search operation was conducted on 01.06.2008 at premises situated at...
Facts of the Case
The
assessee was engaged in the manufacture and sale of pharmaceutical
formulations.
The
assessee claimed deduction of commission paid to various agents for
facilitatin...