These three appeals of three different assessees are being taken up together as in each of these appeals pertaining to 2011-12 assessment years, the issues and arguments remain identical. Accordingly, on the request of the parties, common order in al
The assessee has filed this appeal challenging the order dated 09-02-2010 passed by Ld CIT(A)-III, Bengaluru and it relates to the assessment year 2008-09.
The assessee has filed this appeal challenging the order dated 13.09.2017 passed by DRP-1, Bengaluru and it relates to the assessment year 2013-14.
The appeal filed by the assessee is directed against the order dated 12.7.2018 passed by Ld. CIT(A)-7, Bengaluru and it relates to the assessment year 2013-14. All the grounds urged by the assessee relate to transfer pricing adjustment made in respe
This appeal at the instance of assessee is directed against the order of CIT(A) dated 14.12.2018. The relevant assessment year 2015-16.
The assesse has filed this appeal challenging the order dated 29.3.2019 passed by Ld. CIT(A) 9 Bengaluru and it relates to the assessment year 2012-13. The assesse is aggrieved by the decision of Ld. CIT(A) in partially confirming the disallowance ma
The assessee has filed this appeal challenging the order dated 18.8.2020 passed by Ld.CIT(A)-1, Bengaluru and it relates to the assessment year 2012-13. The solitary issue urged by the assessee is whether the property sold by the assessee is a long t
This appeal filed by the assessee against the Order dated 25/03/2021 by the National Faceless Appeal Centre, the following grounds raised as under: -
Captioned appeal filed by the assessee pertaining to assessment year (AY) 2009-10, is directed against the order passed by the Learned Commissioner of Income Tax(Appeals)-VI, Baroda [in short “the ld. CIT(A)”], which in turn arise out of an assessmen
These five appeals filed by different assessees, pertaining to assessment year (AY) 2012-13, are directed against the separate orders passed by the Learned Commissioner of Income Tax (Appeals), Surat [in short “the ld. CIT(A)”], which in turn arise o