Facts of the CaseThe present matter concerns appeals filed by the Revenue
against the orders of the Income Tax Appellate Tribunal for Assessment Years
2013–14 and 2015–16. The dispute revolved around the taxability...
Facts of the CaseThe present case involves multiple appeals filed by the
Revenue against a common order of the Income Tax Appellate Tribunal (ITAT)
concerning different Assessment Years (AYs), including AY 2004-05, 200...
Facts of the Case
The
Petitioner, RDS Project Limited, engaged in civil construction,
filed its return for AY 2012–13 declaring income of ₹16.68 crore.
Assessment
was completed under Section 14...
Facts of the CaseThe assessee, a partnership firm engaged in export of
automobile spare parts, received unsecured loans:
₹26
lakhs (AY 2013–14)
₹87
lakhs (AY 2014–15)
These amounts were receiv...
Facts of the CaseThe Revenue (Commissioner of Income Tax – LTU) filed appeals
before the Delhi High Court against the respondent, SRF Limited. The matter
pertained to tax disputes under the Income Tax Act.At the outs...
Facts of the
CaseThe assessee, engaged in construction and sale of
commercial space, developed a multi-storeyed building “Gopal Das Bhawan” in
Connaught Place, New Delhi. It followed the Completed Contract M...
Facts of the CaseThe petitioner, J.M.D. Global Private Limited, challenged
the validity of a reassessment notice issued under Section 148 of the Income
Tax Act for AY 2012–13.The reassessment was initiated on the bas...
Facts of the Case
The
Revenue (Commissioner of Income Tax – LTU) filed two appeals against SRF
Limited.
There
was a delay in re-filing the appeals, which was condoned by the Court.
At
th...
Facts of the CaseThe Respondent-assessee, Virender Kumar Bhatia, had
incorporated M/s Baani Technologies Pvt. Ltd., which owned land measuring
approximately 2.36 acres in Wazirabad, Gurugram. Subsequently, during FY
2...
Facts of the Case
The
Revenue filed appeals against the respondent (assessee), Housing &
Urban Development Corporation Ltd.
The
dispute arose from orders passed by the ITAT under Section 254(2)...