Facts of the CaseThe Revenue filed multiple appeals against a common order
passed by the Income Tax Appellate Tribunal (ITAT) concerning Assessment Years
2006–07 to 2011–12. A search and seizure operation was condu...
Facts of the CaseThe petitioner, Revolution Forever Marketing Pvt. Ltd.,
challenged a reassessment notice dated 30.03.2016 issued under Sections 147/148
of the Income Tax Act, 1961 for Assessment Year 2009–10.The com...
Facts of the
CaseThe present appeals were filed by the Revenue under
Section 260A of the Income Tax Act against the respondent assessee, M/s Sistema
Shyam Teleservices Ltd., concerning multiple assessment years.The pr...
Facts of the
CaseThe present matter pertains to two connected income
tax appeals filed by the appellant, Deepak Chhabra, before the High
Court of Delhi against the respondent, Income Tax Officer, Ward 10(5).On the dat...
Facts of the CaseThe Revenue filed multiple appeals against a common order
passed by the Income Tax Appellate Tribunal (ITAT) concerning several
assessment years. A search and seizure operation was conducted at the
as...
Facts of the CaseThe present case involves multiple appeals filed by the
Revenue against a common order of the Income Tax Appellate Tribunal (ITAT)
concerning Assessment Years 2006-07 to 2011-12. A search and seizure o...
Facts of the
Case
The assessee, NT Back Office Services Pvt. Ltd. (formerly Globerian
India Pvt. Ltd.), was subject to assessment for AY 2007–08.
The Income Tax Appellate Tribunal (ITAT) annulled the
...
Facts of the CaseThe Respondent/Assessee, a telecommunications company, claimed
deduction under Section 80-IA of the Income Tax Act, 1961 in respect of
interest income earned.
The
assessee borrowed funds ...
Facts of the CaseThe present case involves multiple appeals filed by the
Revenue against a common order of the Income Tax Appellate Tribunal (ITAT)
concerning Assessment Years 2006-07 to 2011-12. A search and seizure o...
Facts of the
CaseThe assessee, M/s Mathur Marketing Pvt. Ltd., was
engaged in trading rice through a commission agent, M/s Ramkishan Dass Narender
Prakash. The Assessing Officer (AO), after conducting inquiries under ...