Facts of the CaseThe petitioner, Girnar Investment Ltd., a public limited
company, was assessed for the 1995-96 assessment year, resulting in a tax
demand of Rs. 21,44,521. The petitioner filed an appeal before the CIT...
Facts of the CaseThe assessee, the Society for Development Alternatives, is an
institution registered under Section 12A and Section 80G of the Income Tax Act,
1961. The organization is dedicated to rural development, f...
Facts of the CaseThe Petitioner, The Synodical Board of Health Services, a
society registered under the Societies Registration Act, 1860, engaged in
managing hospitals and community health programs, applied for registr...
Facts of the CaseThe assessee, Kanchenjunga Advertising Pvt. Ltd., filed its
return of income for Assessment Year 2000-01 declaring taxable income. During
scrutiny assessment proceedings, the Assessing Officer noticed ...
Facts of the CaseThe appellant, Kanchenjunga Advertising P. Ltd., a domestic
company, filed its return for the assessment year 2000-01. During scrutiny, the
Assessing Officer (AO) identified a claim of Rs. 2,38,32,392/...
Facts of the CaseThe Respondent, a society registered under Section 12A and 80G
of the Income Tax Act, 1961, is engaged in research and development for rural
welfare and environmental regeneration. The Revenue (Appella...
Facts of the CaseThe assessee, a private company, failed to file an income tax
return for the Assessment Year (AY) 1993-94. A subsequent search conducted by
the Central Bureau of Investigation at the premises of a dire...
Facts of the CaseThe petitioner, a private limited company, filed its return
for the assessment year 2004-05, which was processed under Section 143(1) of
the Income Tax Act. Subsequently, the Income Tax Officer (Respon...
Facts of the CaseThe appellant, T & T Motors Ltd., is an automobile dealer.
During the assessment year 2006-07, the company provided various car
accessories to customers "free of cost" (FOC) at the time of car
boo...
Facts of the CaseThe petitioner, a Singapore-based company, operated a liaison
office in India. Upon deciding to close this office in 2008, the petitioner
applied for a "no objection certificate" (NOC) from the Income ...