Facts of the Case
The
Income Tax Appellate Tribunal (ITAT) dismissed an appeal filed by the
Revenue solely on the technical ground that the Revenue had failed to file
the complete assessment order alo...
Facts of the Case
The
respondent/assessee is a co-operative society manufacturing fertilizers.
For the assessment year 1993-94, it filed a return claiming massive
deductions under Section 80-I for its...
Facts of the CaseThe assessee, a 100% export-oriented unit located in the
Noida Export Processing Zone (NEPZ), is engaged in the development and export
of computer software. The assessee had claimed a deduction under S...
Facts of the Case
The
Assessing Officer originally allowed deductions to the assessee under both
Sections 80HHC and 80IB of the Income-tax Act.
Subsequently,
the Assessing Officer invoked Section 15...
Facts of the CaseThe petitioner, M/S Lachman Dass Bhatia Hingwala (P.) Ltd.,
filed a batch of writ petitions under Articles 226 and 227 of the Constitution
of India. The petitions challenged an order dated January 22, ...
Facts of the Case
The
Appellant is a private limited company operating as a tour operator
approved by the Department of Tourism under Section 80HHD of the
Income-Tax Act, 1961.
The
Appellant ...
Facts of the CaseThe assessee, Samtel Color Limited, a public limited
company, filed its return for Assessment Year 1997-98. During assessment
proceedings, the Assessing Officer noticed that the company had received pu...
Facts of the Case
The
assessee-respondent firm was engaged in manufacturing and trading footwear
under the brand names "WOODLAND" and "WOODS".
A
survey operation under Section 133A conducted ...
Facts of the
CaseThe Revenue preferred appeals before the Delhi High
Court against the order passed by the Income Tax Appellate Tribunal. During the
hearing, the Court observed that the tax effect involved in the appe...
Facts of the CaseSamtel Color Limited, a public limited company, received
public deposits amounting to approximately ₹2.61 crores during Assessment Year
1997-98. During assessment proceedings, the Assessing Officer q...