This appeal at the instance of the assessee is directed against the CIT(A)’s order dated 06.06.2019. The relevant assessment year is 2007-2008.
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
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
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
This appeal is filed by the assessee against the order dated 6/4/2017 passed by CIT(A)- 43, for Assessment Year 2012-13.
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.
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