Facts of the CaseThe assessee, HFCL Infotel Ltd., was engaged in providing
telecom services and had obtained a telecom license under the prevailing
telecom policy for the State of Punjab. As per the license agreement, ...
Facts of the CaseThe present appeals were filed by the Revenue before the Delhi
High Court against the order of the Income Tax Appellate Tribunal (ITAT)
concerning HFCL Infotel Ltd. The primary dispute revolved around ...
Facts of the CaseThe Revenue filed appeals before the Delhi High Court
challenging the order of the Income Tax Appellate Tribunal (ITAT) in favor of
the assessee, HFCL Infotel Ltd. The dispute primarily revolved around...
Facts of the CaseThe assessee, engaged in real estate business, entered into a
consortium agreement and subsequently into an agreement to purchase 10 acres of
land for ₹15 crores from JMA Buildcom Pvt. Ltd. However, ...
Facts of the CaseThe assessee, engaged in real estate business, entered into a
consortium agreement and subsequently into an agreement to purchase 10 acres of
land for ₹15 crores from JMA Buildcom Pvt. Ltd. However, ...
Facts of the Case
The
petitioner filed its return for AY 2010–11 declaring nil income.
The
case was selected for scrutiny, and detailed queries were raised regarding
share capital, share premium,...
Facts of the CaseThe case arose from an appeal filed by the Revenue under
Section 260A of the Income Tax Act, 1961 challenging the order of the Income
Tax Appellate Tribunal (ITAT). The assessee, Gaurav Arora, filed a ...
Facts of the CaseThe assessee, Modiluft Ltd., entered into multiple agreements
with Lufthansa, a German company:
Aircraft
Lease Agreement (approved under Section 10(15A))
Technical
Support Agreement
...
Facts of the CaseThe present matter consists of multiple appeals filed by the Director
of Income Tax (International Taxation) against M/s Modiluft Ltd. and
M/s Royal Airways Ltd. before the Delhi High Court.The dispute...
Facts of the CaseThe present batch of appeals was filed by the Revenue against
various orders involving M/s Modiluft Ltd. and M/s Royal Airways Ltd.
concerning issues of international taxation and applicability of
pro...