Facts of the CaseThe Revenue (represented by the Commissioner of Income Tax)
preferred a series of statutory income tax appeals—specifically ITA Nos.
375/2009, 465/2009, and 382/2009—before the High Court of Delhi....
Facts of the CaseThe Revenue (Income Tax Department) preferred statutory
cross-appeals (ITA Nos. 375/2009, 465/2009 and accompanying CM applications)
before the Division Bench of the Hon’ble High Court of Delhi...
Facts of the CaseThe Appellant, represented by the Commissioner of Income Tax
(the Revenue), preferred a statutory tax appeal docketed as ITA No. 213/2009
before the Division Bench of the High Court of Delhi. Alongside...
Facts
of the Case1.
A
search and seizure operation was conducted resulting in block assessment
proceedings.2.
The
assessee's case was connected with M/s M...
Facts of the
CaseM/s Jay Bharat Maruti Ltd., engaged in the
manufacture of automobile parts and moulds, filed its return for Assessment
Year 1993-94 declaring income of ₹5,35,250. The return was processed under
Sec...
Facts of the Case
For
the Assessment Year (AY) 2003-04, the Respondent/Assessee (Aspentech India
Pvt. Ltd.) filed an income tax return declaring a total loss of ₹2.48
crores.
The
Assessing ...
Facts of the
CaseThe Revenue preferred multiple appeals against
Bhasin Motors India Pvt. Ltd. relating to assessment years covering Financial
Year 1997-1998 to Financial Year 2001-2002.The aggregate tax effect involve...
Facts of the
Case
The Income Tax Appellate Tribunal had earlier passed orders against
the assessees.
The assessees challenged those orders by filing appeals under
Section 260A of the Income-tax Act befor...
Facts of the Case
Background
of the Dispute: The Revenue Department (Commissioner of
Income Tax) preferred an statutory appeal under Section 260A of the Income
Tax Act, 1961, bringing a challenge agai...
Facts of the Case
The
Collaboration Agreement: The assessee corporate
entity entered into a formal Memorandum of Understanding (MOU) with M/s.
Jamna NHK Allevard Suspension Components Ltd. (JANA), a t...