Facts of the Case
The
petitioner company, M/s Omaxe Ltd., engaged in real estate business, was
subjected to a search operation and was issued notice under Section 153A
of the Income Tax Act.
The
...
Facts of the
CaseThe assessee, Ms. Gita Duggal, owned property
situated at A/22, Westend Colony, New Delhi comprising basement, ground floor,
first floor and second floor. She entered into a collaboration agreement wi...
Facts of the CaseThe petitioner company was engaged in the tourism and travel
business and had undergone scrutiny assessment under Section 143(3).
Subsequently, reassessment proceedings had earlier been initiated on th...
Facts of the CaseThe Revenue filed appeals before the Delhi High
Court under Section 260A of the Income Tax Act challenging the order of the
Income Tax Appellate Tribunal relating to Assessment Years 2006–07 and 2007...
Facts of the
CaseThe respondent assessee had been granted
registration under Section 12A of the Income Tax Act. Subsequently, the
Director of Income Tax (Exemption) passed an order under Section 12AA(3) read
with Sec...
Facts of the
CaseThe assessee had claimed current year business
losses amounting to ₹80,65,000 arising from share trading activities and
adjusted such losses against profits while claiming deduction under Section
8...
Facts of the
Case
NTPC Ltd. challenged notices issued under Section 148 dated
03.02.2006 seeking reopening of completed assessments.
The proceedings related to Assessment Years 1999-2000, 2001-02,
2002-0...
Facts of the
CaseThe assessee had purchased certain properties
situated in Village Kapashera between 08.02.2005 and 25.08.2005 at an aggregate
purchase consideration of ₹1,06,58,000. These lands were subsequently so...
Facts of the CaseNTPC Ltd. filed its return of income for Assessment Year
2005–06 declaring total income of approximately Rs.1330.17 crores. The case was
selected for scrutiny and assessment proceedings were conducte...
Facts of the CaseM/s Indus Towers Ltd. filed multiple writ petitions
before the Delhi High Court against the Deputy Commissioner of Income Tax and
other authorities regarding refund-related disputes under the Income Ta...