Facts of the CaseThe appeals pertain to assessment years 2001-02 and 2002-03.
The respondent, M/s Amway India Enterprises, incurred expenditures on:
Purchase
of software applications, including MS Office, Anti-V...
Facts of the
CaseM/s Shankar Trading (P) Ltd. was engaged in the
business of manufacturing Katha and Cutch. The company had taken a factory
belonging to Mehta Charitable Prajnalaya Trust on lease from 01.06.1978.The T...
Case FactsThe appeal concerns the assessment year 2004-05, in which
the petitioner, Commissioner of Income Tax, challenged the Income Tax
Appellate Tribunal’s (ITAT) decision regarding expenses incurred by the
respo...
Facts of the
CaseThe assessee, Shri Vishwa Vigyan Telugu Linguistic
Minority Educational Society, claimed to be a charitable society and filed its
return of income for Assessment Year 2003-04 declaring nil income. Dur...
Facts of the
CaseThe assessee, Superior Crafts, was a partnership
firm engaged in export business. During Assessment Year 2002-03, the Assessing
Officer directed a special audit under Section 142(2A) of the Income Tax...
Facts of the Case:
The
assessee, M/s Asahi India Safety Glass Ltd., engaged in
manufacturing automobile safety glass, implemented software (Oracle
applications) via Arthur Andersen & Associates du...
Facts of the
CaseEastman Industries Limited, engaged in the business
of export of cycle parts and light engineering goods, filed its return for
Assessment Year 2003-04 declaring income after claiming deduction under S...
Facts of the CaseThe appeal concerns the assessment year 2005-2006,
where the appellant, Commissioner of Income Tax, challenged the
treatment of expenses incurred by M/s Amway India Enterprises Pvt. Ltd.
on the improv...
Facts of the CaseThe petitioner, Northern Exim (P) Ltd., filed a
declaration under the Voluntary Disclosure of Income Scheme, 1997 for
Assessment Years 1989-90 to 1997-98. For Assessment Year 1997-98, the
petitioner d...
Facts of the Case
The
appeal pertains to the assessment year 2003-2004.
The
appellant, Commissioner of Income Tax, challenged the decision of
the Income Tax Appellate Tribunal regarding:
...