Facts of the
Case
The respondent/assessee, Zaheer Mauritius, along with Vatika Pvt.
Ltd., invested in Compulsorily Convertible Debentures (CCDs) issued
by SH Tech Park Developers Pvt. Ltd.
CCDs were iss...
M/s Sahu Exports vs Assistant Commissioner of Income Tax & Anr.
(Delhi High Court, 2023) – Reassessment u/s 148 Quashed Due to Lack of
Independent Application of Mind Facts of the
CaseThe petitioner, M/s Sa...
Facts of the
CaseThe case pertains to taxation of income received by
the assessee, a Singapore-based entity, from the sale/supply of off-the-shelf
software to various customers in India. During scrutiny assessment, th...
Facts of the CaseThe appeals were filed by the Revenue (Commissioner of
Income Tax – International Taxation) challenging orders passed by the Income
Tax Appellate Tribunal for Assessment Years 2017–18, 2018–19, a...
Facts of the
CaseThe appeal was filed by the Revenue before the
Delhi High Court under Section 260A of the Income Tax Act, 1961 against the
order of the Income Tax Appellate Tribunal (ITAT). The dispute arose from
as...
Facts of the
CaseThe case pertains to Assessment Years 2013–14 and
2014–15, where the Revenue challenged the orders of the Income Tax Appellate
Tribunal (ITAT), which ruled in favor of the assessee, Zaheer Mauriti...
Facts of the
CaseThe appellant, Hyatt International Southwest Asia
Ltd., is a company incorporated in the UAE and a tax resident under the
India-UAE Double Taxation Avoidance Agreement (DTAA). The appellant entered in...
Facts of the
CaseThe case pertains to an appeal filed by the Revenue
challenging the order of the Income Tax Appellate Tribunal (ITAT), which had
set aside the revisionary order passed under Section 263.The Assessing ...
Facts of the
CaseHyatt International Southwest Asia Ltd., a
UAE-based company, was engaged in providing hotel management and strategic
advisory services to hotels in India. The Indian tax authorities held that the
co...
Facts of the CaseThe case
pertains to addition made by the Assessing Officer (AO) amounting to ₹11.35
crores on account of alleged undisclosed income arising from trading activities
in commodities such as pulses and...