Facts of the
CaseThe present appeals were filed by the Revenue under
Section 260A of the Income Tax Act, 1961 against the common order of the Income
Tax Appellate Tribunal dated 11 May 2018 concerning Assessment Years...
Facts of the CaseThe respondent-assessee, Vedanta Limited, earned dividend
income of ₹8.97 crores, which was exempt under Section 10(34) of the
Income-tax Act. The assessee voluntarily disallowed ₹9,07,453 un...
Facts of the CaseThe present appeal was filed by the Revenue under Section
260A of the Income Tax Act, 1961 against the order of the Income Tax
Appellate Tribunal for Assessment Year 2004-05. The assessee had ori...
Facts of the CaseThe assessee, a real estate developer, was engaged in
construction of housing projects “Lotus Boulevard” and “Lotus Panache.” It
followed the Percentage of Completion Method (PoC Method) ...
Facts of the CaseThe Revenue filed
appeals under Section 260A against the order of the Income Tax Appellate
Tribunal concerning Assessment Years 2009–10 and 2010–11. Two primary issues
arose:
Whether a drilling ...
Facts of the CaseThe Revenue challenged the order concerning receipt of ₹67.50
crores by the respondent-assessee from M/s Unitech Limited. The Revenue did
not dispute:
Identity
of the payer
Creditwor...
Facts of the CaseThe Revenue filed appeals against Ericsson India Pvt. Ltd. for
Assessment Years 2008-09 and 2009-10.The primary dispute related to:
Addition
of provisions for gratuity and leave encashment...
Facts of the Case
The
Revenue filed appeals against Ericsson India Pvt. Ltd. for Assessment
Years 2008-09 and 2009-10.
The
primary dispute involved:
Addition
of provision for gr...
Facts of the CaseThe present appeal was filed by GE Engine Services
Distribution LLC (the Appellant) before the Delhi High Court challenging the
order passed by the Income Tax Authorities concerning issues arisin...
Facts of the CaseThe petitioner approached the Delhi High Court under Article
226 of the Constitution of India challenging the administrative action/order
passed by the respondent authority. The grievance primarily rel...