Facts of the Case
The
Petitioner, Super Cassettes Industries Ltd., filed a writ petition seeking
to quash an order dated June 8, 2007, passed by the Chief Commissioner of
Income Tax (Central).
The
...
Facts of the CaseM/s Shanker Trading (P) Ltd., engaged in the
business of manufacturing Katha and Cutch, had taken on lease a factory
belonging to Mehta Charitable Prajnalaya Trust with effect from 01.06.1978.
Initial...
Facts of the Case
The
petitioner company, M/s. I.M. Constructions Pvt. Ltd., filed its income
tax return manually for the Assessment Year (AY) 2004-05 on February 10,
2005, with the Income Tax Officer...
Facts of the
CaseM/s Shanker Trading (P) Ltd. was engaged in the
business of manufacturing and trading Katha and Cutch. The assessee had taken
on lease a manufacturing unit belonging to Mehta Charitable Prajnalaya Tru...
Facts of the CaseThe dispute involves a batch of six connected writ
petitions—specifically W.P.(C) Nos. 1765/2012, 1766/2012, 1767/2012, 1778/2012,
1784/2012, and 1785/2012—brought before the Division Bench of the ...
Facts of the CaseThe petitioner, Sun Investment Pvt. Ltd., was
engaged in investment activities and registered as a Non-Banking Financial
Company (NBFC) with the Reserve Bank of India.WP(C) No.
12438/2009 – Assessme...
Facts of the Case
Initial
Assessment: For the assessment year 2002-03, the
Assessing Officer (AO) completed the original assessment of the
respondent-assessee (R.T.C.L. Ltd.) under Section 143(3) of t...
Facts of the
CaseM/s Shankar Trading Pvt. Ltd. was engaged in the
business of manufacturing Katha and Cutch and had leased a production unit
belonging to Mehta Charitable Prajnalaya Trust from 01.06.1978.Initially, le...
Facts of the
CaseThe petitioner company had originally undergone
scrutiny assessment under Section 143(3) for AY 2003-04, and the assessment
order was passed on 20.10.2005.Subsequently, the Deputy Commissioner of Inco...
Facts of the Case
The
respondent-assessee, a private limited company, filed its income tax
return for the Assessment Year (AY) 2001-02.
The
initial assessment was completed by the Assessing Officer...