Facts of the
Case
A search operation was conducted on the premises of K.C. Group on
05.10.2001.
During the search proceedings, cash amounting to ₹2,16,500 and
stock valued at ₹53,21,218 along with bo...
Facts of the
Case
The Revenue, through the Commissioner of Income Tax, Delhi
Central-III, filed appeals before the Delhi High Court.
The appeals concerned Govind Lal and Ved Prakash respectively.
During hear...
Facts of the
Case
The Revenue, namely Commissioner of Income Tax, Delhi Central-III,
filed appeals against the respondents Govind Lal and Ved Prakash.
The controversy originated from assessment proceedings con...
Facts of the
CaseA search and seizure operation under Section 132 of
the Income Tax Act was conducted in the case of Wings Pharmaceuticals Pvt.
Ltd., in which the assessee, Mr. Anil Arora, was also covered. Consequent...
Facts of the
Case
The assessee was engaged in the business of wet-leasing aircraft
and had acquired Boeing aircraft from foreign entities.
The aircrafts were wet-leased primarily to Lufthansa Cargo AG,
G...
Facts of the
Case
Shri Suresh Nanda claimed Non-Resident Indian (NRI) status.
During relevant periods, his passport had been seized/impounded by
investigating authorities.
The impounding of the passport was ...
Facts of the
CaseShri Suresh Nanda had claimed the status of a
non-resident for the relevant assessment years. During the assessment
proceedings, the Assessing Officer determined that the assessee had stayed in
India...
Facts of the
Case
Shri Suresh Nanda had consistently been assessed as a Non-Resident
Indian (NRI) since 1985 and had business interests outside India,
primarily in UAE.
The assessee visited India on 28.0...
Facts of the
CaseDuring Assessment Year 2004–05, the Assessing
Officer noticed that the assessee had made payments aggregating to ₹94,31,826
to two UAE-based concerns:
M/s CGS International, UAE – ₹56,54,963...
Facts of the
Case
The appellants, namely Anshika Investment Pvt. Ltd. and Apoorva
Extrusion Pvt. Ltd., had filed appeals before the Delhi High Court.
The dispute arose in relation to additions made during proc...