These appeals at the instance of various assessees are directed against different orders of the CIT(A). The relevant assessment year is 2006-2007.
These appeals at the instance of various assessees are directed against different orders of the CIT(A). The relevant assessment year is 2006-2007.
These appeals at the instance of various assessees are directed against different orders of the CIT(A). The relevant assessment year is 2006-2007
These appeals at the instance of various assessees are directed against different orders of the CIT(A). The relevant assessment year is 2006-2007.
Thus, as agreed by the ld.representatives, we have heard first proposition canvassed by the ld.counsel for the assessees on 25.8.2020. The issue under the first proposition is, whether the proceedings initiated under section 153C are valid? According
F. No. 7/5/2020-DGTR.—Having regard to the Customs Tariff Act 1975 as amended (hereinafter referred as the ―Act‖) and the Customs Tariff (Identification, Assessment and Collection of Anti-Dumping Duty on Dumped Articles and for Determination of Inju
“The appellant is a private limited company engaged in carrying specialist service of dry cleaning, providing such services to hotels, airline companies and the like. The appellant had been delaying payment of Central Goods and Services tax as also t
Through the instant petition challenge has been laid to Exts.P4, P4 (a), P4(b) & P4 (c) Assessment orders and recovery notices Exts.P8, P8(b) & P8(c) with other consequential prayers. In support of the aforementioned prayer, the writ petition is base
1. The appellant filed an application under the Right to Information Act, 2005 (RTI Act) before the Central Public Information Officer (CPIO) 0/o the Income Tax Officer, Ward No. 3(4), Room No. 89, Aayakar Bhawan, Paota C Road, Jodhpur, Rajasthan. Th
The present appeal has been preferred by Defendant No. 4, against the concurrent findings of three Courts arising out of a suit for permanent injunction.
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