Facts of the
CaseA search and seizure operation under Section 132 of
the Income-tax Act was conducted on 20.06.2000 at the residential and business
premises of Shri P.K. Sood, who was a Director of the respondent comp...
Facts of the CaseAlcatel Lucent International filed multiple writ
petitions challenging orders passed by the Assessing Officer while giving
effect to earlier orders of the Income Tax Appellate Tribunal.The disput...
Facts of the
CaseThe National Financial Reporting Authority (NFRA),
exercising powers under Section 132(4) of the Companies Act, 2013, initiated
disciplinary proceedings against CA Hemant Khator, Engagement Partner of...
FACTS OF THE
CASE
The respondent/assessee filed his individual return of income for
the Assessment Year (AY) 1993-94 on October 29, 1993.
The assessee owned 70,000 shares in M/s NEPC Micon Ltd., which
i...
Facts of the CaseSun and Shine Worldwide Limited (SSWL), a company
listed on the Bombay Stock Exchange and engaged in commodity futures trading,
reported extraordinarily high sales and purchase figures in its financial...
Facts of the Case
GVIL was a subsidiary company within the Coffee Day Group.
Investigations conducted following disclosures relating to
diversion of funds from Coffee Day Enterprises Limited (CDEL) revea...
Facts of the CaseAlcatel Lucent International filed a writ petition
before the Delhi High Court challenging an order passed by the Assessing
Officer while giving effect to directions issued by the Income Tax Appe...
Facts
of the Case1.
The
appeals concerned the same assessee for Assessment Years 1992-93, 1993-94 and
1994-95.2.
The primary
issue related to deduction un...
Facts of the
CaseThe present appeals were filed by the Revenue
before the Delhi High Court concerning the same assessee for Assessment Years
1992-93, 1993-94 and 1994-95.The dispute originated from the assessee's clai...
Facts of the CaseAlcatel Lucent International filed multiple writ
petitions challenging orders passed by the Assessing Officer while giving
effect to earlier orders of the Income Tax Appellate Tribunal.The disput...