Facts of the CaseThe appeals were filed by several assessees,
including Smt. Shashi Bala Singh of Pratapgarh, who were partners in a
partnership firm engaged in the business of cold storage. The Assessing Officer
comp...
Facts of the CaseThe present group of appeals was filed by several
assessees, including Smt. Shashi Bala Singh of Pratapgarh, who were associated
with a partnership firm engaged in the cold storage business. The Assess...
Facts of the CaseThe assessees, including Shri Prabhanjan Singh,
were individual partners in a partnership firm. They had not filed returns of
income under Section 139(1), as their income was allegedly below the taxabl...
Facts of the CaseThe assessee, M/s Prakash Construction, a civil
contractor, was subjected to assessment proceedings. Due to non-compliance with
statutory notices, the Assessing Officer (AO) completed the assessm...
Facts of the CaseThe appeal was filed by Shri Krishna Singh of
Pratapgarh against the order of the Commissioner of Income-tax (Appeals) for
the Assessment Year 2007-08. The Assessing Officer had completed the assessmen...
Facts of the CaseThe assessee, Krishi Utpadan Mandi Samiti,
Allahabad, is a statutory body constituted under the relevant State legislation
for regulation of agricultural markets. It filed its return claiming exemption...
Facts of the CaseThe assessee, Smt. Archana Singh, was an individual
and a partner in a partnership firm at Pratapgarh. She had not filed a return
of income under Section 139(1), as her income was stated to be below th...
Facts of the CaseThe assessee, an individual from Amethi, was
subjected to assessment proceedings in which certain cash deposits/financial
transactions were treated as unexplained income. The Assessing Officer
complet...
Facts of the
CaseThe assessee, Shri Ram Pandey of Mirzapur, was
subjected to assessment proceedings in which certain financial transactions and
deposits were treated as unexplained income. The Assessing Officer comple...
Facts of the CaseMaulana Azad Inter College, Siddharth Nagar, an
educational institution, made salary payments to its staff members. The TDS
authorities alleged failure to deduct tax at source in accordance with
statu...