This appeal arises out of the judgment dated 07.02.2020, as corrected by order dated 21.09.2020, by the National Company Law Appellate Tribunal [“NCLAT”]. The Appellant is an operational creditor of Respondent No.2 herein – M/s. Shree Ram Urban Infra
All these appeals pertain to an exemption provision containedin the Kerala Building Tax Act, 1975. Under Section 3(1)(b) buildingsthat are used principally for religious, charitable or educational purposes or as factories or workshops are exempted fr
Steel products were supplied by the respondent to one M/s.Diamond Engineering Pvt. Ltd. [“the company”] from 21.09.2015 to11.11.2016, as a result of which INR 24,20,91,054/- was due and payableby the company. As many as 51 cheques were issued by the
The petitioner has sought for issuance of writ of certiorari to quash the refund rejection orders. Noticing that W.P.No.13633/2020 relates to rejection of refund order as regards October, 2018;
The Hon'ble Delhi High Court in National Highways Authority of India v. Sahakar Global Ltd. [O.M.P. (COMM) No. 486 of 2020 decided on September 29, 2020], dismissed the petition and refused tointerfere with the arbitral award passed by the Arbitrator
The assessee has filed the present appeal against the order of ld. CIT(A)-II, Jaipur dated 23.08.2018 for the assessment year 2008-09.
The assessee has filed the present appeal against the order of ld. CIT(A), Alwar dated 29.03.2019 for the assessment year 2015-16.
This appeal at the instance of the assessee is directed against CIT(A)’s order dated 16.09.2015. The relevant assessment year is 2011-2012.
This appeal by the assessee is against the order dated 19.01.2018of the CIT(Appeals), Bengaluru-6, Bengaluru, for the assessment year 2014-15.
This appeal at the instance of the assessee is directed against the assessment order dated 29.01.2016 passed u/s143(3) r.w.s. 144C(1) of the I.T.Act, 1961. The relevant assessment year is 2011-2012.
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