The assessee has filed these appeals challenging the orders passed by Ld CIT(A)-13, Bengaluru and they relate to assessment years 2013-14 to 2015-16. We notice that the assessee has filed two separate appeals for AY 2014-15 and 2015-16. One appeal ha
Present appeal is filed by the assessee against order passed by Ld.CIT(A), Gulbarga dated 24.01.2019 on following grounds of appeal:
Present appeal by the assessee has been filed by assessee against order dated 25/01/2019 passed by CIT(A)-4, Bangalore, for assessment year 2015-16.
Present appeal by the assessee has been filed by assessee against order dated 3/7/2019 passed by CIT(A), Managaluru for assessment year 2003-04.
These are appeals by the assessee against six Orders of assessment passed by ACIT (International Taxation), Circle – 2(1), Bengaluru, all dated 29.08.2019, under section 143(3) r.w.s. 147 r.w.s. 144C of the Income Tax Act, 1961, relating to Assessmen
Present appeal by the assessee has been filed by assessee against order dated 12/09/2019 passed by CIT(A)-3, Bangalore,for assessment year 2014-15.
The present appeal has been filed by assessee against order dated 25/11/2019 passed by Ld.CIT(A), Bangalore-10 for assessment year 2009-10 on following grounds of appeal:
By this writ application under Article226 of the Constitution of India, the writ applicants have prayed for the following reliefs:
This SLP is against a judgment and order dated 9.7.2020 passed bythe High Court of Judicature of Rajasthan at Jaipur dismissing the Revision Petition being SB Sales Tax Revision/Reference No. 165/2019, filed by the Petitioner, against an order dated
By this writ application under Article 226 of theConstitution of India, the writ applicants have prayed for thefollowing reliefs;
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