Facts of the CaseThe assessees had originally filed their returns
under Section 139(1) declaring certain income for Assessment Years 2005-06 and
2006-07.Subsequently, a search and seizure operation under
Section 132 w...
Facts of the
CaseThe Revenue preferred appeals against the assessee,
Gulbarga Associates (P) Limited, challenging the order of the Income Tax
Appellate Tribunal wherein additions made by the Assessing Officer under
S...
Facts of the
CaseThe Revenue filed four appeals under Section 260A
challenging separate orders of the Income Tax Appellate Tribunal (ITAT)
concerning penalty proceedings under Section 271(1)(c) of the Income Tax Act.
...
Facts of the
CaseThe assessees originally filed returns under
Section 139(1) declaring lower income for AYs 2005–06 and 2006–07.
Subsequently, a search and seizure operation under Section 132 was conducted on
the...
Facts of the
CaseThe Income Tax Department filed multiple appeals
under Section 260A of the Income Tax Act challenging the order of the Income
Tax Appellate Tribunal dated 21.03.2016. The appeals were filed with a del...
Facts of the
CaseThe Income Tax Department filed multiple appeals
before the Delhi High Court against the order of the Income Tax Appellate
Tribunal dated 21.03.2016. However, there was a delay of 86 days in
fi...
Facts of the CaseThe assessees had originally filed their returns
under Section 139(1) declaring lower income for AY 2005-06 and AY 2006-07.A search operation under Section 132 was conducted
in the JM Estate Developers...
Facts of the
CaseThe Revenue filed multiple appeals against the
order of the Income Tax Appellate Tribunal dated 21.03.2016. However, there was
a delay of 86 days in filing the appeals before the Delhi High Court.Appl...
Facts of the
CaseThe Revenue/Appellant preferred two income tax
appeals before the Delhi High Court against M/s Daurala Foods & Beverages
Pvt. Ltd. However, after the initial filing, the appeals were re-filed afte...
Facts of the
CaseThe Revenue instituted two appeals before the High
Court under the Income Tax Act. At the stage of re-filing, it was observed that
both appeals were substantially delayed by 890 days. Applications
se...