Facts of
the CaseThe Revenue (Commissioner of Income Tax) filed three distinct
appeals (ITA 254/2015, ITA 255/2015, and ITA 256/2015) before the Delhi High
Court against the Respondent, M/S Yash Pal Narender Kumar. Th...
Facts of the
CaseThe assessee company, engaged in manufacturing
activities, claimed deduction under Section 80-I amounting to Rs. 92,251/-
being 25% of its profits for Assessment Year 1986–87. The assessee had emplo...
Facts of the CaseThe
assessee, M/s Eicher Ltd., had outstanding interest liabilities payable to
financial institutions including IFCI, IDBI, and HDFC Bank. Instead of making
direct payment of the interest amount, the ...
Facts of the CaseFollowing a search and seizure operation conducted under
Section 132 of the Income Tax Act, 1961, on October 20, 2008, against B.K.
Dhingra and others, documents belonging to the Respondent company, Im...
Facts of the CaseThe assessee company
claimed substantial losses in multiple assessment years (1997–98, 1998–99, and
1999–2000) arising from purchase, sale, and diminution in the value of shares
held as stock-in...
Facts of the
CaseThe petitioner, United Health Group Information
Services Private Limited, had filed an appeal before the Income Tax Appellate
Tribunal (ITAT) against the order passed by the Dispute Resolution Panel d...
Facts of the CaseThe
petitioners had filed returns for Assessment Year 2009–10 declaring losses.
During scrutiny assessment under Section 143(3), the Assessing Officer made
additions on account of alleged notional i...
Facts of the
CaseThe dispute arose from the valuation and taxability
of goodwill in the course of a business transfer pursuant to a collaboration
agreement dated 03.12.1986. The assessee, M/s Motherson Auto Pvt. Ltd.,...
Facts of the CaseThe
petitioners, being corporate assessees, had filed their income tax returns for
Assessment Year 2009–10 declaring losses. During scrutiny assessment under
Section 143(3), the Assessing Officer ma...
Facts of the CaseThe assessee, Edward Keventer (Successors) Private Limited,
originally acquired leasehold rights in a significant parcel of land in 1952.
The primary objective at the time of purchase was to establish ...