Facts of the CaseThe Revenue filed an appeal before the Delhi High Court
challenging the order under the Income Tax Act.At the hearing, the Court considered the monetary impact
involved in the dispute.The Court recorde...
Facts of the Case
A
search-related assessment proceeding was initiated under the provisions of
Chapter XIV-B of the Income Tax Act, 1961.
The
Revenue made additions against the respondent, Anupam Sw...
Facts of the CaseThe Revenue challenged an order of the Income Tax Appellate
Tribunal (ITAT).The Revenue submitted before the Delhi High Court that the
ITAT had dismissed its appeal solely on the ground that Committee ...
Facts of the Case
The
Revenue filed an appeal (ITA No. 1397/2009) before the Delhi High Court
challenging an order concerning the assessment of the assessee.
The
core matter pertains to how interes...
Facts of the Case
The
Assessing Officer disallowed an amount of Rs. 6,91,481/- on the ground
that the assessee had not carried out any business activity during the
relevant assessment year.
The
...
FACTS OF THE CASE
The
Revenue filed an appeal (ITA No. 1392/2009) before the High Court of Delhi
challenging the order of the Income Tax Appellate Tribunal (ITAT). The
ITAT had affirmed the order of t...
Facts of the CaseThe Revenue preferred an appeal before the Delhi High Court
challenging the order under the Income Tax Act.At the hearing, the Court observed that the controversy raised
in the appeal was already cover...
Facts of the
CaseThe assessee company, Medshave Health Care Ltd.,
was engaged in the sale and purchase of shares held as investments. During the
relevant assessment year, the assessee sold shares of Vikas Fitting Ltd....
Facts of the CaseThe dynamic of this consolidated batch of appeals revolves
around a common substantial question of law concerning the pure interpretation
of the provisions of the Income Tax Act, 1961. Taking the prima...
Facts of the CaseFor Assessment Year 2001-02, the assessee disclosed a gift of
Rs. 2.50 lakhs received from Shri Arun Kumar Goyal through a banker’s cheque
dated 08.05.2000.During assessment proceedings, the Assessin...