Facts of the
CaseThe present writ petition was filed by the
petitioner challenging the validity of reassessment proceedings initiated under
the Income Tax Act, 1961 for Assessment Year 2018–2019. The challenge was
...
Facts of the
Case
The petitioner hospital was treated as an “assessee-in-default”
under Sections 201(1) and 201(1A) for short deduction of TDS for AY
2013–14 and 2014–15.
Total tax demand exceed...
Facts of the
CaseThe petitioner, MUFG Bank Ltd., a foreign banking
company operating in India, was subjected to assessment proceedings for AY
2007–08 under Sections 143 read with 144C of the Income Tax Act. Various
...
Facts of the
CaseThe petitioner, Sunil Malik, challenged
reassessment proceedings initiated by the Income Tax Department for Assessment
Year 2015–16. The proceedings arose from allegations that the petitioner was
e...
Facts of the
CaseThe petitioner challenged multiple reassessment
proceedings initiated by the Income Tax Department for Assessment Year
2017–18, including:
Notice under Section 148 dated 25 June 2021
Notice und...
Facts of the
Case
The respondents/assessees (PEC Ltd. and RITES Ltd.) incurred CSR
expenditure during Assessment Years 2013-14 and 2014-15.
The Assessing Officer disallowed the CSR expenses claimed as
d...
Facts of the CaseThe
respondents/assessees, namely PEC Ltd. and RITES Ltd., claimed deduction of
expenditure incurred towards Corporate Social Responsibility (CSR) under
Section 37(1) of the Income Tax Act for Assessm...
Facts of the
Case
The appeals were filed by the Revenue against orders of the Income
Tax Appellate Tribunal.
The respondents (PEC Ltd. and RITES Ltd.) claimed deduction of CSR
expenditure for AY 2013–...
Facts of the
CaseA search and seizure operation under Section 132 of
the Income Tax Act, 1961 was conducted on 28.10.2010 in the case of the Satya
Prakash & Brothers Group (SPG Group). During the course of proceed...
Facts of the
CaseThe appeals were filed by the Revenue against a
common order of the Income Tax Appellate Tribunal dated 29.06.2018 concerning
Assessment Years 2008–09 and 2009–10.The dispute arose from the reallo...