Facts of the CaseThe case involves the PR. Commissioner of Income Tax (Central)-3
challenging the Tribunal's ruling that set aside additions made under Section
153A of the Income Tax Act. The Tribunal applied the decis...
Facts of the CaseThe Revenue Department had filed multiple income tax appeals
before the Delhi High Court challenging orders passed by the Income Tax
Appellate Tribunal in relation to the tax liabilities of Monnet Ispa...
Facts of the
CaseThe assessee, GE Nuovo Pignone S.P.A., filed
appeals before the Delhi High Court challenging a common order passed by the
ITAT for Assessment Years 2001-02 to 2008-09. The grievance of the assessee wa...
Facts of the CaseThe property situated at 6, Aurangzeb Road, New Delhi,
originally acquired in 1947, became part of a Hindu Undivided Family (HUF) and
was later partitioned among co-owners in equal shares. To overcome ...
Facts of the
CaseThe assessee filed appeals before the ITAT
challenging tax treatment on several grounds involving installation Permanent
Establishment, attribution of profits, and taxability of technical service
inc...
Facts of the CaseThe Revenue Department, through the Principal Commissioner
of Income Tax, filed multiple appeals before the Delhi High Court challenging
the order passed by the Income Tax Appellate Tribunal (ITAT) con...
Facts of the
CaseThe Revenue filed multiple appeals before the Delhi
High Court concerning Assessment Years 2005-06 and 2006-07 against the
respondent assessee, N. S. Software (Firm). The dispute arose from assessment...
Facts of the CaseH.T. Media Limited, engaged in printing and publishing
newspapers and periodicals, filed its return for AY 2008-09 declaring taxable
income.During the relevant assessment year:
The
assess...
Facts of the
CaseThe present appeals were filed by the assessee, MSD
Pharmaceuticals Pvt. Ltd., pertaining to Assessment Year 2011–2012, involving
transfer pricing adjustments in relation to Advertisement, Marketing...
Facts of the
CaseThe assessee, M/s Televista Electronics Ltd.,
filed its return for Assessment Year 1989–90 declaring income of Rs.
12,05,070/-. During the original assessment proceedings under Section 143(3),
the ...