Facts of the
CaseThe Revenue filed appeals against the
respondent-assessee. During the hearing, the counsel for the Revenue submitted
that the tax effect involved in the present appeals was below ₹50 lakhs.
Accordi...
Facts of the CaseThe petitioners, M/s Infonox Software Pvt. Ltd. & others,
filed multiple petitions before the Delhi High Court challenging criminal
proceedings initiated by the Income Tax Department. The mat...
Facts of the
CaseThe respondent-assessee, Macquarie Global Services
Pvt. Ltd., had an existing 100% Export Oriented Unit (EOU) eligible for
deduction under Section 10A up to AY 2011-12. Subsequently, the assessee
est...
Facts of the CaseThe present appeals were filed by the Revenue challenging a
common order passed by the Income Tax Appellate Tribunal (ITAT) for Assessment
Years 2008-09 and 2009-10. The ITAT had upheld the order of th...
Facts of the
Case
The Revenue filed appeals before the Delhi High Court against the respondent-assessee.
During the hearing, counsel for the Revenue submitted that the tax
effect in the appeals was belo...
Facts of the Case
The
assessee, Software Technologies Parks of India, claimed exemption under
Sections 11 and 12.
The
ITAT allowed the claims of the assessee across multiple assessment years
...
Facts of the
CaseAs observed in the judgment (pages 2–3) , the
appeals were filed by the assessee, Varun Beverages Limited, on behalf of Varun
Beverages International Limited, which had been amalgamated with it.The ...
Facts of the CaseThe present matter involves appeals filed by the Revenue
against a common order passed by the Income Tax Appellate Tribunal (ITAT)
concerning Assessment Years 2006–07, 2007–08, and 2008–09. The c...
Facts of the
Case
The appellant, Varun Beverages Limited, filed appeals on behalf of
Varun Beverages (International) Limited, which had amalgamated with it.
The dispute relates to assessment years 2008-09, 20...
Facts of the Case
The
Revenue filed appeals against a common order of the ITAT allowing relief
to the assessee for AYs 2006–07, 2007–08, and 2008–09.
The
assessee, Software Technology Parks o...