Facts of the CaseThe assessee, Shri Som Chand Gupta, was subjected
to scrutiny assessment proceedings wherein the Assessing Officer made additions
to the returned income on the basis of alleged discrepancies and unexpl...
Facts of the CaseThe assessee, Shri Shashi Vaish, was subjected to
scrutiny assessment proceedings in which the Assessing Officer made additions
to the returned income based on alleged discrepancies and unexplained amo...
Facts of the CaseThe assessee, Rajesh Kumar Singh, engaged in
transportation business and trading of bricks and sand, filed return for AY
2010-11 declaring income of ₹4,23,316. The Assessing Officer completed scrutin...
Facts of the
CaseThe assessee filed an appeal before the Income Tax
Appellate Tribunal against the order of the Commissioner of Income Tax
(Appeals). However, the appeal was filed with a delay beyond the prescribed
l...
Facts of the
CaseThe assessee filed an appeal before the Income Tax
Appellate Tribunal, Allahabad Bench, challenging the order of the Commissioner
of Income Tax (Appeals) for Assessment Year 2009-10. During the penden...
Facts of the
CaseThe assessees, being co-owners,
sold immovable property for a consideration substantially lower than the stamp
duty valuation adopted by the authorities. The Assessing Officer invoked
Section 50C of ...
Facts of the
CaseThe assessees, being co-owners,
sold immovable property for a consideration significantly lower than the stamp
duty valuation adopted by the authorities. The Assessing Officer invoked
Section 50C of ...
Facts of the CaseThe assessee filed an appeal before the
Commissioner of Income Tax (Appeals) [CIT(A)] against the assessment order
beyond the prescribed limitation period. The delay extended substantially
beyond the ...
Facts of the
CaseThe assessee, an individual, was subjected to
scrutiny assessment wherein the Assessing Officer noticed cash deposits in the
bank account during the relevant financial year. The Assessing Officer trea...
Facts of the
CaseThe assessee filed an appeal
before the Tribunal against the order of the CIT(A) relating to Assessment Year
2012-13. The assessment had been completed under Section 143(3), resulting in
various addi...