1. This hearing has been held by video conferencing. 2. This petition has been filed challenging the order dated 20.04.2020 passed by the learned Central Information Commission (CIC) on Second Appeal No:-CIC/GAILD/A/2018/631935-BJ.
This appeal is filed by the assessee against the order dated 6/4/2017 passed by CIT(A)- 43, for Assessment Year 2012-13.
Whether an employee who retired on 31st of a month is entitled to the increment which would have fallen due on 1st of the next month is the question involved in the Civil Writ Petition No. 2503 of 2016.
This petition raises an interesting question of the effect of the lockdown declared by the Central Government due to the outbreak of the COVID-19 Pandemic on the period of the Provisional Attachment Orders passed under Section 5(1) of the Prevention
Both captioned appeals have been f i led at the instance of the assessee against the common order of the Commissioner of Income Tax (Appeals)-5, Ahmedabad (CIT(A) in short) dated 25/03/2019 relevant to Assessment Years (AY) 2013-14 & 2014-15.
The Petitioner has filed an application under Order VI Rule 17 read with section 151 of the Code of Civil Procedure, 1908 (in short, “CPC”), seeking to insert amendments in the Writ Petition. The proposed amendments are as follows;
This appeal is filed by the assessee and the same is directed against the order of learned CIT (A) – 12 Bengaluru dated 22.02.2018.
THIS WRIT PETITION IS FILED UNDER ARTICLES 226 AND 227 OF THE CONSTITUTION OF INDIA PRAYING TO QUASH THE IMPUGNED ORDERS DATED 21.12.2019, PASSED BY THE R-2,UNDER SECTION 107(11) OF THE KGST ACT AS PER ANNEXUREA AND A1 RESPECTIVELY AND CONSEQUENTIALL
This appeal filed by the assessee is directed against the order dated 7th February 2011 of the CIT(A), Ghaziabad, relating to assessment year 2004-05.
This appeal by the Revenue filed under Section 260 A of the Income Tax Act, 1961 ('the Act' for brevity), is directed against the order dated 23.12.2010 passed by the Income Tax Appellate Tribunal, Chennai, 'A' Bench ('the Tribunal' for brevity) in I
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