Assessment Proceedings Against a Non-Existent Entity Are Void Ab Initio: Acropolis Realty Pvt. Ltd. vs Income Tax Officer (Delhi High Court)

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04/02/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 358
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Facts of the CaseThe petitioner, Acropolis Realty Pvt. Ltd., had undergone a corporate restructuring pursuant to a duly sanctioned scheme of amalgamation. As a consequence of the approved scheme, the amalgamating ent...

Assessment and Reassessment in the Name of a Non-Existent Amalgamating Company Held Void: Delhi High Court Reaffirms Maruti Suzuki Principle in Lecoanet Hemant India Pvt. Ltd. v. PCIT-4 (2024)

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Facts of the CaseLecoanet Hemant India Pvt. Ltd. is the successor/transferee company pursuant to a duly sanctioned Scheme of Amalgamation, under which IP Support Services (India) Pvt. Ltd. stood amalgamated and disso...

Completed Reassessment Cannot Be Reopened Using Ashish Agarwal: Delhi High Court Quashes Second Reassessment in Jaswant Singh Juneja v. ITO (2024)

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Facts of the CaseThe petitioner, Jaswant Singh Juneja, is the proprietor of M/s JMK Enterprises, engaged in the business of electronic goods and components. For Assessment Year (AY) 2014-15, the petitioner filed his ...

Profit Attribution to Indian Permanent Establishment Independent of Global Losses: Delhi High Court Full Bench Overrules Nokia Solutions in Hyatt International Southwest Asia Ltd. v. DCIT (2024)

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Facts of the CaseHyatt International Southwest Asia Ltd., a tax resident of the United Arab Emirates, carried on business in India through arrangements including Strategic Oversight Services Agreements (SOSA) with In...

Reassessment Notices Issued Post-Abhisar Buildwell Barred by Limitation: Delhi High Court Quashes Section 148 Proceedings in Good Earth Plotted Development Pvt. Ltd. v. ACIT (2024)

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Facts of the CaseGood Earth Plotted Development Private Limited was one of the petitioners in a batch of writ petitions challenging reassessment proceedings initiated by the Income Tax Department after the decision o...

Reassessment Barred by Limitation Despite Ashish Agarwal: Delhi High Court Quashes Section 148 Proceedings in Genpact India Pvt. Ltd. v. ACIT (2024)

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Facts of the CaseGenpact India Private Limited, formerly known as Empower Research Knowledge Services Private Limited, is engaged in providing business process outsourcing, analytics, IT services, software solutions ...

Reassessment Valid Where Facts Remain Unchanged Across Years: Delhi High Court Upholds PE, DAPE and Profit Attribution in GE Nuovo Pignone S.p.A. v. CIT (International Taxation) (2024)

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Facts of the CaseGE Nuovo Pignone S.p.A., an Italian company (now known as Nuovo Pignone International SRL), is part of the GE Group and engaged in the manufacture and supply of highly specialised and customised equi...

Reassessment Proceedings Against Non-Existent Amalgamating Company Are Void Ab Initio: Delhi High Court Quashes Notices in Elite Wealth Ltd. v. ITO (2024)

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Facts of the CaseElite Wealth Limited, the petitioner, was a part of a batch of writ petitions where reassessment proceedings were initiated by the Income Tax Department in the names of companies that had ceased to e...

Assessment and Reassessment in the Name of a Non-Existent Amalgamating Company Are Void: Delhi High Court Reaffirms Maruti Suzuki Principle in Ekum Design Pvt. Ltd. v. ITO (2024)

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Facts of the CaseEkum Design Private Limited was a petitioner in a batch of writ petitions challenging assessment and reassessment proceedings initiated by the Income Tax Department in the names of entities that had ...

Reassessment Cannot Be Based Solely on DVO Report: Delhi High Court Quashes Section 148 Notices in Divine Infracon Pvt. Ltd. v. DCIT (2024)

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Facts of the CaseDivine Infracon Private Limited, the petitioner, is engaged in the business of real estate development and hospitality. A search and seizure operation under Section 132(1) of the Income-tax Act was c...