The assessee has filed this appeal challenging the order dated 17-12-2018 passed by Ld CIT(A)-7, Bengaluru and it relates to the assessment year 2015-16.
These are appeals by the Assessee/Assessee against two orders dated 15.2.2010 and 26.3.2009 of the CIT(Appeals)-IV, Bangalore relating to assessment years 2005-06 & 2004-05 respectively. Both these appeals arise under identical facts and circumstance
This appeal at the instance of the assessee is directed against the final assessment order dated 25.11.2016 passed u/s 143(3) r.w.s. 144C(13) of the I.T.Act. The relevant assessment year is 2012-2013.
The assessee has filed this appeal challenging the order dated 27-01-2017 passed by the AO for assessment year 2013-14 u/s 143(3) r.w.s. 144C(13) of the Act in pursuance of directions given by Ld Dispute Resolution Panel.
This appeal was originally disposed of by the ITAT vide its order dated 19.02.2020. However, the assessee filed M.A.No.74/Bang/2020 to recall the Tribunal order, insofar as the issue regarding to deduction u/s 54EC of the I.T.Act. The Tribunal vide i
These three appeals filed by the assessee are directed against different orders of Commissioner of Income Tax (Appeals)-1, Bangalore for the Assessment Years 2013-14, 2014-15 & 2015-16. The issues in these appeals are identical and common, they are h
This appeal at the instance of the assessee is directed against the order of the CIT(A) dated 26.07.2019. The relevant assessment year is 2017-2018.
This appeal at the instance of the assessee is directed against the order of the CIT(A) dated 30.07.2019. The relevant assessment year is 2017-2018.
This appeal by the assessee is directed against the order dated 30.7.2019 of CIT(Appeals), Bangalore-9, Bangalore, relating to assessment year 2017-18.
This appeal by the assessee is directed against the order dated 26.7.2019 of CIT(Appeals), Bangalore-9, Bangalore relating to assessment year 2017-18.
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