PR. Commissioner of Income Tax-7, Delhi vs Times Internet Limited | Delhi High Court | Section 14A, 37(1), Depreciation on Software & Revenue vs Capital Expenditure | AY 2012-13

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 129
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Facts of the CaseThe Revenue filed an appeal challenging the order of the Income Tax Appellate Tribunal dated 30.03.2021 concerning multiple disallowances made by the Assessing Officer (AO) against the assessee, Times...

M/s Tirupati Trading Corporation vs Assistant Commissioner of Income Tax (Delhi High Court, 2023) – Reassessment Proceedings Quashed Due to Lack of Material under Sections 148 & 148A(d) of Income Tax Act

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 143
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Facts of the Case The petitioner, M/s Tirupati Trading Corporation, challenged: Order dated 28.07.2022 passed under Section 148A(d) Consequential notice under Section 148 for AY 2016–17 The Re...

Mehra Jewel Palace Pvt Ltd vs Pr. Commissioner of Income Tax (Delhi High Court) – Section 40A(2)(b) Disallowance of Salary & Interest on Advances | AY 2011-12 & 2012-13

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 113
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Facts of the CaseThe assessee company filed appeals under Section 260A challenging orders of the ITAT for AY 2011–12 and AY 2012–13.The dispute involved: Disallowance of interest on loans where funds were advance...

Principal Commissioner of Income Tax-7, Delhi vs Qualcomm India Pvt. Ltd. (Delhi High Court) – Exclusion of Comparables & No TP Adjustment on Receivables when Working Capital Adjustment Allowed [Section 92B, Rule 10B]

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 116
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Facts of the CaseThe present appeal was filed by the Revenue before the Delhi High Court against the order dated 19.01.2023 passed by the Income Tax Appellate Tribunal (ITAT) for Assessment Year (AY) 2014–15. The Re...

Sinogas Management PTE Ltd vs Deputy Commissioner of Income Tax & Anr (Delhi High Court) – Non-Issuance of Draft Assessment Order u/s 144C Renders Assessment Void

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 114
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Facts of the Case The Petitioner, Sinogas Management PTE Ltd, is a Singapore-based company engaged in operating ships and claimed tax residency in Singapore. It filed its return for AY 2017–18 declari...

Commissioner of Income Tax (International Taxation)-1, New Delhi vs Deloitte Touche Tohmatsu (Delhi High Court, 2023) – Mutuality Principle vs Fees for Technical Services under Section 260A

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 112
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Facts of the CaseThe assessee, Deloitte Touche Tohmatsu (a Verein registered in Switzerland), is a non-profit association consisting of member firms across the globe. It filed returns for AYs 2008–09 to 2011–12 de...

Commissioner of Income Tax (International Taxation-1), New Delhi vs Deloitte Touche Tohmatsu – Doctrine of Mutuality vs Fee for Technical Services under Section 260A of Income Tax Act

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 130
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Facts of the CaseThe respondent assessee, Deloitte Touche Tohmatsu, is a Switzerland-based Verein (association) comprising member firms engaged in professional services globally. The assessee filed nil income return...

Commissioner of Income Tax (International Taxation-1), New Delhi vs Deloitte Touche Tohmatsu – Doctrine of Mutuality Excludes Subscription Receipts from Taxation (Section 260A, Income Tax Act)

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 106
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Facts of the CaseThe respondent/assessee, Deloitte Touche Tohmatsu, is an association (Verein) established in Switzerland comprising member firms (chartered accountant entities) across the globe.For Assessment Years 2...

Commissioner of Income Tax, International Taxation–1, New Delhi vs Deloitte Touche Tohmatsu (Delhi High Court) – Mutuality Principle & Taxability of Subscription Receipts under Income Tax Act

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 125
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Facts of the Case The assessee, Deloitte Touche Tohmatsu, is a Swiss Verein (association) consisting of member firms across the globe. It filed income tax returns for AY 2008–09 to AY 2011–12 declaring ni...

Commissioner of Income Tax (International Taxation)-1, New Delhi vs Deloitte Touche Tohmatsu | Section 260A | Doctrine of Mutuality | Whether Subscription Receipts Constitute Fees for Technical Services

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07/04/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 133
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Facts of the CaseThe respondent assessee, Deloitte Touche Tohmatsu (Verein), is an association established in Switzerland comprising member firms across the globe engaged in professional services such as audit, account...