Facts of the Case
The
petitioner, Replika Press Private Limited, operates a 100% export-oriented
undertaking engaged in printing, typesetting, and binding customized
textbooks based on manuscripts rec...
Facts of the Case
Import
of Software: During the Assessment Year 1985-86, the
appellant imported hardware along with certain software.
Customs
Dispute: The appellant declared and sought to
re...
Facts of the CaseThe Petitioner, AT&T Communication Services India Pvt.
Ltd., a wholly owned subsidiary of AT&T Communication Services
International Inc., USA, was engaged in market research and administrative
...
Facts of the Case
The
Grant Issue: The respondent-assessee (Airline Allied
Services Ltd.) received a sanctioned grant of ₹35 crores from the Ministry
of Finance and Company Affairs aimed at im...
Facts of the CaseSony Mobile Communications (India) Pvt. Ltd. and Sony India
Pvt. Ltd. were engaged in importing, marketing, selling consumer products and
providing after-sales support services in India.For Assessment ...
Facts of the Case
Search
Operations: On 16th November 1995, search operations
under Section 132 of the Income Tax Act, 1961, were conducted at the
business premises of Mahavir Woolen Mills, whic...
Facts of the CaseSony Mobile Communications (India) Pvt. Ltd. and Sony India
Pvt. Ltd. were engaged in importing, distributing, and selling consumer
electronic products and mobile devices in India.For Assessment Year 2...
Facts of the Case
Assessee
Profile: The petitioner, M/s York Exports (P)
Limited, is a limited company engaged in the manufacture and export of
woolen and cotton hosiery goods.
Export
Specifi...
Facts of the Case
Appellate
and Assessment Year: The appellant, Woodward Governor India
Ltd., filed an appeal concerning the Assessment Year 2006-07.
Disallowance
of Expenses: The Income Tax ...
Facts of the CaseThe assessee, M/s Kostub Investment Ltd., filed its income tax
return for Assessment Year 2006–07 declaring losses under the normal provisions
and book profits under Section 115JB of the Income...