Facts of the Case
Context: The
respondents are part of the Minda Group of business, specializing in
manufacturing automobile components. A multi-premise search operation
under Chapter XIV-B of the Act...
Facts of the Case
The assessee, Escorts Tractors Ltd., was a public limited company.
For Assessment Year 1980-81, its accounting period ended on 31
December 1979.
The assessee paid advance tax in three instal...
FACTS OF THE CASE
The
Assessees Profile: The respective assessees are part of the prominent
Minda Group of Business, which primarily operates in the commercial
manufacturing sector of diverse automobi...
Facts of the CaseThe controversy originated from a series of investigative
searches conducted by the Income Tax Department on the assessees, who belong to
the Minda Group of business, a conglomerate involved in manufac...
Facts of the Case
The
Background Context: The case involved several assessees
belonging to the Minda Group of business, which was primarily engaged in
the manufacturing of various automobile component...
Facts of the Case
The assessee filed its return for Assessment Year 1997-98 and
claimed a loss of ₹98,03,600 arising from purchase and sale of shares.
The Assessing Officer (AO) held that the loss was specul...
FACTS OF THE CASE
Nature
of Business: The Respondent-Assessee, M/s. Xerox Modicorp
Limited, is an industrial enterprise engaged in the manufacturing and
distribution of xerographic (photocopying) mach...
Facts of the
CaseThe assessee, M/s Nalwa Sons Investments Ltd.,
filed its return for Assessment Year 2001-02 declaring a loss. Subsequently, a
revised return was filed showing income under Section 115JB.The Assessing ...
FACTS OF THE CASE
Nature
of Business: The corporate assessee, M/s Xerox Modicorp
Limited, was engaged in the industrial operations of manufacturing and
selling xerographic machines, toners, developers...
Facts of the
CaseThe appellant had filed an appeal before the Delhi
High Court under the Income Tax Act. During the hearing, counsel appearing for
the appellant submitted that in view of the orders passed on the same ...