Facts of the Case
The
Petitioner, Qualcomm Technologies, Inc., filed its return of income for AY
2014–15.
The
grievance of the Petitioner was that despite completion of proceedings,
the Res...
Facts of the
CaseThe petitioner, Jindal Exports and Imports
Private Limited, filed writ petitions challenging reassessment notices
dated 27th and 28th March 2021 issued under Section 148 of the Income Tax Act
for AY ...
Facts of the
CaseThe petitioner, Jindal Exports and Imports
Private Limited, filed writ petitions challenging reassessment notices
dated 27th and 28th March 2021 issued under Section 148 of the Income Tax Act
for AY ...
Facts of the Case
The
petitioner, Qualcomm Technologies Inc., had obtained favourable orders
from the ITAT for the relevant assessment years.
Despite
completion of appellate proceedings, the respon...
Facts of the CaseThe Petitioner, Qualcomm Technologies, Inc., filed writ
petitions seeking directions to the Respondents to:
Process
income tax returns,
Issue
correct computations, and
Grant
re...
Facts of the
CaseThe petitioner, PCJ Securities Private Limited,
filed a writ petition challenging the assessment order dated 30 March 2022
passed by the National Faceless Assessment Centre under Sections 147 read wit...
Facts of the CaseThe Petitioner, Qualcomm Technologies Inc., filed a writ
petition seeking directions to the Income Tax Department to process its return
of income for Assessment Year 2017-18, issue correct computation,...
Facts of the CaseThe present appeal was filed by the Revenue challenging the
order dated 28th August 2019 passed by the Income Tax Appellate Tribunal
(ITAT), Delhi Bench ‘B’ for Assessment Year 2012–13. The core ...
Facts of the
CaseThe appeal was filed by the Commissioner of Income
Tax (Exemption) challenging the order of the Income Tax Appellate Tribunal
(ITAT) dated 16 January 2019 for Assessment Year 2010–11. The ITAT had g...
Facts of the
CaseThe Petitioner challenged the validity of:
Notice dated 17.03.2022 issued under Section 148A(b),
Order dated 04.04.2022 under Section 148A(d), and
Consequential notice under Section 148 of the I...