Facts of the Case
The assessee filed the return of income for Assessment Year 1994-95
on 31.10.1994 declaring income of Rs. 2,54,510/-.
A notice under Section 143(2) dated 13.03.1995 was issued by the
Rev...
Facts of the Case
The assessment pertained to Assessment Year 2005-06.
The Assessing Officer made an addition of ₹50 lakh under Section 68
of the Income-tax Act.
The addition related to investment made in t...
Facts of the CaseThe Revenue filed an appeal before the Delhi High
Court along with an application seeking condonation of delay. There was a
substantial delay of 473 days in re-filing the appeal.The explanation offered...
Facts of the Case
A
search operation was conducted at the residence of the respondent and
certain bank lockers.
Cash,
jewellery, books of accounts and documents were seized during the search.
Th...
Facts of the
Case
The Revenue filed an appeal before the
Delhi High Court.
There was a delay of 473 days in
re-filing the appeal.
The Revenue sought condonation of the
delay through CM No. 5571...
Facts of the Case
The
case related to Assessment Year 1999-2000.
The
assessee, Padmini Technologies Ltd., had claimed deduction under Section
80HHC of the Income-tax Act, 1961.
The
Income ...
Facts of the CasePadmini Technologies Ltd., the assessee, operated two distinct
business units. One unit was engaged in the multimedia business and carried out
export activities, while the other unit was engaged in the...
Facts of the Case
The
case related to Assessment Year 1998-99.
The
assessee, Padmini Technologies Ltd., claimed deduction under Section 80HHC
of the Income-tax Act, 1961.
The
deduction cla...
Facts of the Case
The
assessee filed its return of income for Assessment Year 2007-08 declaring
income of ₹20,23,243.
During
scrutiny assessment under Sections 143(2) and 143(3), the Assessing
...
Facts of the CaseThe assessee, SPL's Siddhartha Ltd., filed its return of
income for Assessment Year 2002-03 declaring a loss of ₹27.63 lakhs. The return
was processed under Section 143(1).Subsequently, on 12 March 2...