PR. COMMISSIONER OF INCOME TAX-1 vs AMRAPALI SILICON CITY PVT. LTD. (Delhi High Court) – Section 260A | Income Tax Appeal on Tribunal Order & Insolvency Proceedings

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06/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 191
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Facts of the Case The Revenue filed multiple appeals (including ITA 329/2022) against orders passed by the ITAT concerning different assessment years. The respondent company, part of the Amrapali Group, was ...

Hyatt International Southwest Asia Ltd. vs Additional Director of Income Tax (Delhi High Court) – ITA No. 216/2020 [Section 260A | DTAA | Permanent Establishment | Royalty vs Business Income]

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Facts of the CaseThe assessee, a UAE-based company, provided strategic and advisory services to hotels in India under Strategic Oversight Services Agreements (SOSA). It claimed that such services were rendered from o...

Hyatt International Southwest Asia Ltd. vs Additional Director of Income Tax (Delhi High Court) – ITA No. 216/2020 (Section 260A | Permanent Establishment | DTAA India-UAE | Royalty vs Business Income)

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Facts of the CaseThe appellant, Hyatt International Southwest Asia Ltd., is a company incorporated in the UAE and a tax resident under the India-UAE Double Taxation Avoidance Agreement (DTAA). The appellant entered in...

Hyatt International Southwest Asia Ltd. vs Additional Director of Income Tax (Delhi High Court) – Section 9, 143(3), 144C, 260A | Permanent Establishment & DTAA Taxability

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My Tax Expert
06/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 179
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Facts of the CaseThe assessee, Hyatt International Southwest Asia Ltd., a UAE-based company, entered into Strategic Oversight Services Agreements (SOSA) with hotel entities in India for providing advisory and strategi...

Hyatt International Southwest Asia Ltd. vs Additional Director of Income Tax (Delhi High Court) – Taxability of SOSA Services, Royalty vs Business Income & Permanent Establishment under DTAA

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My Tax Expert
06/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 165
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Facts of the case The assessee, Hyatt International Southwest Asia Ltd., is a UAE-based company providing strategic and advisory services to hotels under Strategic Oversight Services Agreements (SOSA). ...

Commissioner of Income Tax (International Taxation)-2 vs. Sh. Hotchand Techchand Punjabi (Delhi High Court) – Section 250(4), Rule 46A, Sections 147, 148, 69B of Income Tax Act – Admission of Additional Evidence & Scope of CIT(A) Powers

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04/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 277
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Facts of the CaseThe present matter pertains to Assessment Year 2012–13, wherein the Assessing Officer (AO) initiated reassessment proceedings under Sections 147 and 148 of the Income Tax Act, 1961 based on informa...

Commissioner of Income Tax (Exemptions), Delhi vs Indian Evangelical Team – No Substantial Question of Law – Appeal Dismissed (Delhi High Court, AY 2013–14, ITA 699/2023)

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04/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 240
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Facts of the CaseThe present appeal was filed by the Commissioner of Income Tax (Exemptions), Delhi (Appellant/Revenue) against the order dated 24.03.2021 passed by the Income Tax Appellate Tribunal (ITAT) for the Ass...

Principal Commissioner of Income Tax-7, Delhi vs M/s Timex Group India Ltd. | Delhi High Court | AY 2009-10 | AMP Expenses & International Transactions

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04/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 250
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Facts of the CaseThe present appeal was filed by the Revenue challenging the order dated 27.03.2023 passed by the Income Tax Appellate Tribunal. The dispute pertains to the Assessment Year 2009–10.The Revenue raised...

Principal Commissioner of Income Tax-7, Delhi vs M/s Timex Group India Ltd. (Delhi High Court) – AMP Expenses Not an International Transaction | AY 2009-10

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Facts of the Case The assessee, M/s Timex Group India Ltd., incurred AMP expenses during AY 2009-10. The Revenue contended that such expenses constituted an international transaction requiring tra...

PR. Commissioner of Income Tax-1 vs M/s Ansal Properties and Infrastructure Ltd (Delhi High Court) – Deduction under Section 35D on QIB Share Issue | AY 2011-12

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04/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 200
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Facts of the CaseThe present appeal was filed by the Revenue challenging the order of the Income Tax Appellate Tribunal dated 16.07.2021 for Assessment Year 2011-12.The Respondent/Assessee, M/s Ansal Properties and I...