Facts of the Case
The Assessing Officer issued a notice under
Section 148A(b) on 28.03.2024.
The assessee was initially granted time till
08.04.2024 to furnish a reply.
On 05.04.2024, the assessee sou...
Facts of the Case
A
search and seizure operation under Section 132A of the Income Tax Act was
conducted in the case of Kashyap Motors Pvt. Ltd. on 22 December 1999 and
on certain subsequent dates.
R...
Facts of the Case
A
search and seizure operation under Section 132A of the Income Tax Act was
conducted in the case of Kashyap Motors Pvt. Ltd. on 22 December 1999 and
on certain subsequent dates.
R...
Facts of the CaseThe assessee, Hitachi Astemo
Haryana (P.) Ltd., was engaged in manufacturing shock absorbers used in
two-wheelers for both domestic and export markets. During Assessment Year
2021-22, it entered into ...
Facts of the
CaseA search and seizure operation under Section 132A
of the Income Tax Act was conducted in the case of Kashyap Motors Pvt. Ltd. on
22 December 1999 and on certain subsequent dates. Rajinder Kashyap was ...
Facts of the Case
A search and seizure operation under Section 132A was conducted on
22 December 1999 in the case of Kashyap Motors Pvt. Ltd.
Rajinder Kashyap was the Managing Director of the company during
...
Facts of the Case:
The matter came before the Delhi High Court in an
Income Tax Appeal filed by the appellant. During consideration of the appeal,
the Court noted that the tax effect involved in the matter was less th...
Facts of the CaseThe assessee claimed deduction of substantial
amounts paid as General Discount, Trade-in Discount and Dealer Discount to
various parties during the relevant assessment year. The Assessing Officer
disa...
Facts of the CaseThe assessee claimed deduction of substantial
amounts paid as General Discount, Trade-in Discount and Dealer Discount to
various parties during the relevant assessment year. The Assessing Officer
disa...
Facts of the CaseThe Revenue filed an appeal before the Delhi High
Court under the provisions of the Income-tax Act. During the hearing, it was
noticed that the tax effect involved in the appeal was below ₹10 lakh. T...