Facts of the
CaseBasu Distributor Pvt. Ltd., engaged in the business
of film distribution, made several cash payments exceeding Rs. 10,000 during
Assessment Years 1992-93, 1993-94, and 1994-95 to various parties inclu...
Facts of the
CaseThe assessee, Basu Distributor Pvt. Ltd., was
engaged in the business of film distribution. During Assessment Years 1992-93,
1993-94, and 1994-95, the assessee made several cash payments exceeding Rs....
Facts of the CaseThe appellant, Basu Distributor Pvt. Ltd., was engaged in the
business of film distribution. During Assessment Years 1992-93, 1993-94 and
1994-95, the assessee made several cash payments exceeding Rs.1...
Facts of the CaseThe petitioner company was subjected to search and seizure
proceedings under Section 132 on 24/25 August 1993. During the search, books of
accounts and documents relating to the relevant assessment yea...
Facts of the CaseGem Sanitary Appliances Pvt. Ltd. filed writ petitions
challenging the consolidated order dated 7 April 2008 passed by the Chief
Commissioner of Income Tax, Delhi-IV rejecting the company’s applicati...
FACTS OF THE CASE
Sunair Hotels Limited had acquired rights to develop a hotel
property from NDMC.
Due to disputes with NDMC, Sunair Hotels Limited sought
substitution of those rights in favour of Sunaero...
Facts of the CaseThe Revenue filed appeals before the Delhi High
Court under Section 260A of the Income Tax Act, 1961 against the orders passed
in favour of M/s Jagat Novel Exhibitors Private Limited for Assessment Yea...
Facts of the CaseThe Income Tax Department initiated investigations
after complaints were received regarding misuse of approved charitable
institutions for generating false donation claims.Search operations conducted u...
Facts of the CaseThe assessee company had originally challenged
several disallowances made by the Assessing Officer, including customer damage
claims, payments made to an individual, estimated expenses, foreign travel
...
Facts of the
CaseThe petitioner approached the Delhi High Court by
way of a writ petition in relation to ongoing income tax proceedings. During
the hearing, learned counsel appearing for the petitioner sought permissi...