Facts of the CaseThe dispute arose in relation to the claim of deduction made
by the assessee, M/s Samtel India Limited, concerning unutilised MODVAT credit
amounting to ₹3.95 crores for Assessment Year 1995-96.The a...
Facts of the CaseThe petitioner, M/s GS1 India, was a not-for-profit
society promoted by the Ministry of Commerce and Industry along with several
trade and governmental organizations. The society was established ...
Facts of the CaseMira Exim Ltd., a public limited company engaged in the
business of manufacturing and trading of readymade garments and accessories,
underwent a scheme of arrangement and amalgamation sanctioned by the...
Facts of the CaseThe assessee, Sanand Properties
Pvt. Ltd. (“SPPL”), entered into an Agreement dated 29.04.2003 with M/s Raviraj
Kothari & Co. for constituting an Association of Persons (AOP) known as
“Forta...
Facts of the CaseA search operation under Section 132 was conducted at the premises
of M/s Friends Portfolio Pvt. Ltd. and its Director. During investigation, it
was alleged that accommodation entries were provid...
Facts of the CaseThe appeals were filed by the Director of Income Tax
(International Taxation) against multiple foreign GE group companies operating
through various international transactions involving Indian entities....
Facts of the CaseThe appeals were filed by the Director of Income Tax
(International Taxation) against multiple foreign GE group companies operating
through various international transactions involving Indian entities....
Facts of the Case
The
petitioner, St. Stephen’s Hospital Society, is a charitable institution claiming
exemption under Sections 11, 12 and 10(23C)(vi) of the Income-tax Act,
1961.
The
petiti...
Facts of the CaseThe Revenue filed five appeals before the Delhi High Court
challenging the order dated 28.04.2014 passed by the Income Tax Appellate
Tribunal (ITAT). The impugned order was passed on an application mov...
Facts of the CaseThe assessee was engaged in the business of trading in
stocks and shares and also acted as a sub-broker. During Assessment Year
2007-08, the assessee claimed a loss of ₹66,35,210 on account of “cle...