Facts of the CaseThe assessee company was engaged in business auxiliary
services and commission/brokerage activities and had declared income exceeding
₹1.85 crores in its return. During search proceedings conducted a...
Facts of the CaseThe assessee, M/s N.C. Cables Ltd., for Assessment Year
2001–02, disclosed receipt of ₹1 crore as share application money and ₹35 lakhs
as loan advance. The original assessment was completed unde...
Facts of the CaseThe respondent-assessee, M/s Nau Nidh Overseas Pvt. Ltd.,
was engaged in providing business auxiliary services and earning
commission/brokerage income. It filed its return of income declaring more than...
Facts of the CaseThe petitioner, Indus Towers Limited (ITL), challenged
a reassessment notice dated 22 February 2013 issued under Section 148 of the
Income Tax Act for Assessment Year 2009–10.Originally, India Cellul...
Facts of the CaseThe assessee, Fashion Design Council of India, claimed
exemption under Sections 11 and 12 of the Income-tax Act as a charitable
institution. During the relevant assessment year, the assessee had:
Cla...
Facts of the CaseThe Revenue filed multiple appeals before the Delhi High Court
challenging the common order passed by the Income Tax Appellate Tribunal (ITAT)
dated 5 September 2016 for Assessment Years 2004–05 to 2...
Facts of the
CaseThe Revenue filed multiple appeals against a common
order passed by the Income Tax Appellate Tribunal (ITAT) for Assessment Years
2004-05 to 2009-10. The controversy arose regarding the computation of...
Facts of the
CaseThe Revenue preferred multiple appeals before the
Delhi High Court challenging the common order passed by the Income Tax
Appellate Tribunal (ITAT) concerning Assessment Years 2004–05 to 2009–10. T...
Facts of the
CaseThe Revenue filed multiple appeals before the Delhi
High Court challenging the common order passed by the Income Tax Appellate
Tribunal (ITAT) relating to Assessment Years 2004–05 to 2009–10.The c...
Facts of the
CaseThe Revenue filed multiple appeals before the Delhi
High Court challenging the common order passed by the Income Tax Appellate
Tribunal (ITAT) for Assessment Years 2004-05 to 2009-10.The assessee had ...