Facts of the
CaseThe Revenue filed multiple appeals under Section
260A of the Income Tax Act challenging the Income Tax Appellate Tribunal (ITAT)
orders, which held that the assessments framed under Sections 153A and ...
Facts of the CaseThe present batch of appeals was filed by the Revenue before
the Delhi High Court under Section 260A of the Income Tax Act, 1961
challenging the order dated 13 December 2016 passed by the Income Tax
A...
Facts of the
CaseA search and seizure operation under Section 132
was initiated on 21 March 2007 against multiple business entities and
individuals, including PPC Business and Products Pvt. Ltd., Surya Vinayak
...
Facts of the CaseThe present batch of appeals was filed by the Revenue under Section
260A of the Income-tax Act, 1961 before the Delhi High Court against the
order dated 13 December 2016 passed by the Income Tax Appell...
Facts of the
CaseThe Revenue initiated search and seizure
proceedings under Section 132 of the Income-tax Act against a group of entities
including PPC Business and Products Pvt. Ltd., Surya Vinayak Industries L...
Facts of the CaseOracle India Private Limited, a wholly-owned subsidiary of
Oracle Systems Corporation, USA, was engaged in software duplication,
distribution, and software development under a Software Duplicatio...
Facts of the CaseThe Revenue filed multiple appeals before the Delhi High
Court against the common order of the Income Tax Appellate Tribunal dated 13
December 2016. The ITAT had dismissed the Revenue’s contentions i...
Facts of the
CaseThe Income Tax Department conducted search and
seizure proceedings under Section 132 against multiple business entities and
individuals connected with the Surya Vinayak Group and allied concerns...
Facts of the CaseThe Petitioner, BDR Builders & Developers Pvt. Ltd.,
challenged the validity of a notice issued under Section 148 of the Income Tax
Act, 1961 for reopening assessment proceedings concerning Assessm...
Facts of the CaseThe Revenue filed multiple appeals before the
Delhi High Court challenging the order of the Income Tax Appellate Tribunal
(ITAT). The dispute centered on the methodology for computing deduction under
...