This appeal by the assessee is preferred against order dated 29.06.2021 framed u/s 143(3) r.w.s 144C(13) r.w.s 144B of the Incometax Act, 1961 [hereinafter referred to as 'The Act'] pertaining to A.Y. 2016-17.
These appeals at the instance of the assessee are directed against two orders of the CIT(A), both dated 30.10.2019. The relevant assessment years are 2010-2011 and 2011-2012.
This appeal at the instance of the assessee is directed against the final assessment order dated 30.09.2016 passed u/s 143(3) r.w.s. 144C(1) of the I.T.Act. The relevant assessment year is 2012-2013.
This is an appeal by the assessee against the Order dated 24.03.2017 of CIT(A)-4, Bengaluru, relating to Assessment Year 2002-03.
This is an appeal by the assessee against the final Order of Assessment dated 14.07.2017 by the DCIT(International Taxation), Circle � 1(1), Bengaluru, passed under section 143(3) r.ws. 144C(5) of the Income Tax Act, 1961 (hereinafter called �the Act
The first set of 3 appeals relates to appeals arise out of imposition of penalty u/s.271E of the Act in relation to AY 2009-10 to 2011-12, while the second set of 3 appeals arise out of imposition of penalty u/s.271-D of the Act in relation to AY 20
This appeal at the instance of the assessee is directed against the CIT(A)�s order dated 29.01.2019. The relevant assessment year is 2015-2016.
This appeal at the instance of the assessee is directed against the CIT(A)�s order dated 30.03.2019. The relevant assessment year is 2016-2017.
This appeal at the instance of the assessee is directed against the CIT(A)�s order dated 29.11.2019. The relevant assessment year is 2008-2009.
This appeal at the instance of the assessee is directed against the CIT(A)�s order dated 31.08.2020. The relevant assessment year is 2016-2017.