Facts of the
Case
The assessee was engaged in software development services through
Software Technology Park units located at Noida and Chennai.
During the relevant assessment year, the assessee operated 31
...
Facts of the Case
The
Appellant, the Commissioner of Income Tax (Central II), initiated
appellate proceedings before the High Court of Delhi.
The
litigation encompassed two appeals, ITA 629/2015 and...
Facts of the
CaseThe assessees received various amounts by way of
gifts from their father, Shri Vipin Khanna, during different assessment years.
The source of funds was claimed to have originated from certain foreign ...
Facts of the CaseFollowing a search action conducted on December 15, 2004,
under Section 132 of the Income Tax Act at the premises of Mr. Brij Mohan
Gupta, the Investigation Wing seized documents containing both detail...
Facts of the CaseThe
matter arose from appeals filed by the Revenue under Section 260A of the Income
Tax Act against the order of the Income Tax Appellate Tribunal (ITAT)
concerning Assessment Year 2003-04. The assess...
Facts of the
CaseA search operation under Section 132 of the
Income-tax Act was conducted against the assessees and related persons.
Consequent to the search, proceedings under Section 153A were initiated for the
rel...
Facts
of the CaseThe Revenue filed
appeals challenging the common order passed by the Income Tax Appellate
Tribunal (ITAT) concerning Assessment Years 2007–08 and 2008–09. The dispute
originated from survey proce...
Facts of the CaseThe Respondent, Kajaria Ceramics Ltd., was engaged in the
manufacturing and trading of ceramic tiles. The appeals filed by the Revenue
(Commissioner of Income Tax-II) pertained to Assessment Years (AY)...
Facts of the CaseThe
petitioner, Consulting Engineering Services (India) Pvt. Ltd., received notices
under Section 148 of the Income Tax Act from two different Income Tax Officers
in relation to Assessment Years 2008â...
Facts of the CaseVelocient Technologies Ltd., being engaged in
software and technology-related export activities, claimed tax benefits under
Section 10A of the Income Tax Act. During assessment proceedings, disputes
a...