Facts of the
CaseThe assessee, M/s N.S. Software (Firm), was
subjected to reassessment proceedings by the Income Tax Department on the
ground that certain income had allegedly escaped assessment. The reassessment
not...
Facts of the CaseThe assessee, Mera Baba Reality Associates Pvt. Ltd., was
subjected to a search and seizure operation under Section 132 on 14 September
2010. During the search, no incriminating material directly relat...
Facts of the CaseThe Revenue preferred appeals against the ITAT’s common order
wherein relief had been granted to CHL Limited on multiple tax-related
disallowances made by the Assessing Officer.The Assessing Officer ...
Facts of the CaseThe Respondent, LS Cable & Systems Ltd., Korea, was
engaged in offshore supply of equipment and materials under a contractual
arrangement connected with an Indian project. The Authority for Advance...
Facts of the
CaseThe assessee, MSD Pharmaceuticals Pvt. Ltd., filed
appeals against the order of the Income Tax Appellate Tribunal (ITAT) for
Assessment Year 2011-12 concerning transfer pricing adjustment in relation ...
Facts of the
CaseThe Revenue preferred appeals before the Delhi High
Court against the order in favour of the assessee, M/s N.S. Software (Firm),
challenging the findings relating to reassessment proceedings initiated...
Facts of the CaseThe Income Tax Department, through the Principal
Commissioner of Income Tax-6, New Delhi, had filed multiple appeals before the
Delhi High Court challenging orders passed by the Income Tax Appellate Tr...
Case Title (In Vs. Form)Pr. Commissioner of Income Tax-2 vs CHL LimitedCourt: High Court of Delhi
Citation: 2017:DHC:8933-DB
Case No.: ITA Nos. 638/2017 & 693/2017
Date of Decision: 21 August 2017 Facts of t...
Facts of the
CaseThe Revenue preferred appeals before the Delhi High
Court concerning Assessment Years 2005–06 and 2006–07 against the order
passed in favour of the assessee, N.S. Software (Firm). The controversy
...
Facts of the
CaseThe assessee, McCain Foods India Pvt. Ltd., adopted
the Resale Price Method (RPM) for benchmarking its international
transactions for transfer pricing purposes. However, the Transfer Pricing
Officer ...