Commissioner of Income Tax-IV vs Indian Vaccines Corporation Ltd. – Taxability of Interest Earned During Pre-Operative Stage Under Section 56 of Income Tax Act | Delhi High Court

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Facts of the Case The assessee company was incorporated for manufacturing human vaccines through technology obtained from Pasteur Merieux Serums et Vaccines, France. Under an agreement between Indi...

The Commissioner of Income Tax-IV vs Indian Vaccines Corporation Ltd. – Taxability of Interest Earned from Portfolio Management Scheme During Pre-Operative Period under Section 56 of the Income Tax Act, 1961 (Delhi High Court)

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Facts of the CaseThe assessee company was incorporated for manufacturing human vaccines using technology developed by Pasteur Merieux Serums et Vaccines, France. The company received substantial financial grants and pr...

M/s OPG Metals & Finsec Ltd. vs. Commissioner of Income Tax & Anr.: Validity of Second Reassessment Notice Under Section 148 Involving Amalgamated Entities and Accommodation Entries-Change of Opinion vs. Fresh Material Information

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Facts of the Case Return of Income: The petitioner company, M/s OPG Metals & Finsec Ltd., filed its return of income for the Assessment Year (AY) 2003-04 on November 28, 2003, declaring a financia...

The Commissioner of Income Tax-IV vs Indian Vaccines Corporation Ltd. – Taxability of Interest Earned from Portfolio Management Scheme During Pre-Operative Period under Section 56 of the Income Tax Act, 1961 (Delhi High Court)

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My Tax Expert
19/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 66
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 Facts of the CaseThe assessee company was incorporated for manufacturing human vaccines using technology developed by Pasteur Merieux Serums et Vaccines, France. The company received substantial financial grants ...

Commissioner of Income Tax-II vs. M/S Leroy Somer & Controls (India) Pvt. Ltd.: Delhi HC on Pre-requisites of Section 271G Penalty & Rule 10D Compliance

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Facts of the Case Assessee Profile & Filing: The respondent-assessee entered into international transactions, utilizing Comparable Uncontrolled Price (CUP) comparability for export sales and the T...

The Commissioner of Income Tax-IV vs Indian Vaccines Corporation Ltd. – Taxability of Interest Earned from Portfolio Management Scheme During Pre-Operative Period under Section 56 of the Income Tax Act, 1961 (Delhi High Court)

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My Tax Expert
19/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 82
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 Facts of the CaseThe assessee company was incorporated for manufacturing human vaccines using technology developed by Pasteur Merieux Serums et Vaccines, France. The company received substantial financial grants ...

Commissioner of Income Tax, Delhi-IV vs. DCM Limited: Can Penalty Under Section 271(1)(c) Be Imposed For Making an Erroneous Legal Claim During Scrutiny Assessment When All Material Facts Are Disclosed?

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Facts of the Case The respondent/assessee (DCM Limited) filed its original return for the Assessment Year 2002-03, which was subsequently revised multiple times. During the pending scrutiny assessm...

Raghav Bahl Vs. Commissioner of Income Tax (Delhi High Court) – Validity of Proceedings under Sections 158BD & 158BE of the Income-tax Act Where Satisfaction Was Recorded Beyond Statutory Limitation Period

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Facts of the Case A search operation under the Income-tax Act was conducted against Mr. Manoj Aggarwal on 03.08.2000. Block assessment proceedings of the searched person were completed under Sectio...

COMMISSIONER OF INCOME TAX XI vs. GOKUL CHAND HARI CHAND Allowability of Machinery Maintenance Expenses as Current Repairs under Section 31(i) vs. Capital Expenditure and Rejection of Remand Plea against Cryptic Assessment Order

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Facts of the Case Assessee Business: The respondent-assessee operated a stone crusher unit at Faridabad. Expenditure Claimed: During the Assessment Year 2008-09, the assessee claimed a deduct...

Speciality Food India Pvt. Ltd. v. Commissioner of Income Tax, ITA No. 51/2014, Delhi High Court (2014:DHC:1302-DB): Whether Penalty under Section 271(1)(c) can be Levied for a Bona Fide and Debatable Depreciation Claim

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Facts of the Case The assessee, Speciality Food India Pvt. Ltd., was engaged in the composite business of manufacturing and trading food products intended for human and animal consumption. Manufact...