Facts of the CaseNokia India Pvt. Ltd. claimed deduction of foreign
travel expenses incurred on its employees, particularly field engineers who
were deputed abroad for business assignments.During assessment proceedings...
Facts of the Case:The petitioner, Commissioner of Income Tax,
challenged the income tax assessment order passed in favor of J. K.
Industrial Enterprises Pvt. Ltd., whereby certain expenses claimed by the
assessee were...
Facts of the
CaseThe Revenue preferred multiple appeals before the
Delhi High Court challenging the order passed in favour of the assessee. The
principal issue involved in the appeals had already been adjudicated by t...
Facts of the CaseThe property situated at C-101, Maya Puri
Industrial Area, Delhi, measuring approximately 2829 square yards, was
acquired on 17.01.1966 by Ambitious Gold Nibs Company Private Limited
from the Delhi De...
Facts of the CaseThe assessee, Cyber Media (India) Ltd., was engaged
in the business of publishing magazines including Data Quest and PC World. The
company earned income from subscriptions, sale of magazines, advertise...
Facts of the
CaseThe Revenue preferred multiple Income Tax Appeals
before the Delhi High Court. The principal issue raised in these appeals had
already been examined and decided by the Delhi High Court in Director of
...
Facts of the
CaseThe assessee, SIL Investments Ltd., had filed its
income tax returns and the assessments were originally completed under the
provisions of the Income-tax Act.Subsequently, Section 80HHC was amended
r...
Facts
of the Case
The appeals were
filed by the Income Tax Department (Revenue) against a
group of assessees, including Ravi Dass Garg.
The dispute arose from additions
made by the Assessing O...
Facts
of the Case1.
The
Revenue preferred multiple appeals before the Delhi High Court being ITA Nos.
900, 901, 902, 903, 904 and 905 of 2008.2.
During
th...
Facts
of the Case·
The
assessee, M/s Sahara India Mass Communication, filed its original return of
income for the Assessment Year (AY) 1994-95, declaring a loss of ₹...