Facts of the
CaseThe Revenue filed appeals before the Delhi High
Court under Section 260A of the Income Tax Act challenging the findings in
favor of Nortel Network Singapore Pte Ltd. The core dispute revolved around
...
Facts of the Case
The
respondent (Income Tax Department) filed a complaint under Sections
276C(1) and 277 of the Income Tax Act regarding undisclosed foreign bank
accounts of the petitioner.
...
Facts of the CaseThe present matter arises from two appeals filed by the
Revenue against a common order passed by the Income Tax Appellate Tribunal
(ITAT) concerning Assessment Years 2007–08 and 2008–09. A search o...
Facts of the
CaseThe present appeals were filed by the Revenue under
Section 260A of the Income Tax Act, 1961 before the Delhi High Court. The
dispute pertained to the taxability of income earned by Nortel Networks
S...
Facts of the
Case
The Revenue filed appeals under Section 260A challenging orders in
favour of the assessee, Nortel Networks Singapore Pte Ltd.
The dispute involved cross-border transactions and applicability...
Facts of the CaseA search operation was conducted on 21st January 2011 in the
Dharampal Satyapal Group. Consequent to the search, notice under Section 153A
was issued to the assessee, Abhisar Buildwell Pvt. Ltd., which...
Facts of the CaseThe assessee, M/s McKinsey Knowledge Centre India Pvt.
Ltd., filed appeals against orders passed by the Income Tax Appellate
Tribunal (ITAT) for Assessment Years 2011–12 and 2012–13.The core disput...
Facts of the CaseThe assessee, an individual deriving income from salary, house
property, capital gains, and interest, was a director and 50% shareholder in a
closely held company, M/s Charu Home Products (P) Ltd...
Facts of the
Case
The Revenue filed appeals under Section 260A challenging orders in
favour of the assessee, Nortel Networks Singapore Pte Ltd.
The dispute involved cross-border transactions and applicability...
Facts of the Case
The
assessee, M/s. McKinsey Knowledge Centre India Pvt. Ltd., filed
appeals against ITAT orders for AY 2011-12 and AY 2012-13.
The
ITAT had concluded that the assessee was engaged...