At the time of hearing of captioned appeal, none appeared forassessee. However, vide assessee’s counsel letter as placed on record, it transpires that the assessee is opting to settle the disputeunder Direct Tax Vivad Se Vishwas Scheme (VVS Scheme),
This appeal in ITA No.3788/Mum/2018 for A.Y.2014-15 arises out of the order by the ld. Commissioner of Income Tax (Appeals)-10, Mumbai in appeal No.CIT(A)-10/DC-5(1)(1)/390/16-17 dated 20/02/2018 (ld. CIT(A) in short) against the order of assessment
This appeal in ITA No.4980/Mum/2018 for A.Y.2008-09 arises out of the order by the ld. Commissioner of Income Tax (Appeals)-4, Mumbaiin appeal No.CIT(A)-4(e)-file-33/DCIT-2(1)(1)/2016-17 dated 17/07/2018(ld. CIT(A) in short) against the order of asse
By way of this appeal, the assessee challenges the validity ofrevisional jurisdiction u/s 263 as exercised by learned Pr. Commissioner of Income-Tax-33, Mumbai [in short referred to as ‘Pr.CIT’], for Assessment Year [in short referred to as ‘AY’] 201
The captioned appeals filed by the assessee are directed against the order of the Commissioner of Income Tax (Appeals)-24, Mumbai [in short ‘CIT(A)’] and arise out of the assessment completed u/s 143(3) r.w.s. 147 the Income Tax Act 1961, (the ‘Act’)
Sections 406, 409, 420, 467, 468, 471, 477-A, 201, 120-B of IPC and Section 5 of the Prize Chits Money CirculationScheme (Banning Act), 1978 and Section 65 of the IT Act. Hewas arrested on 25.05.2019. Incomplete charge sheet wasfiled on 22.07.2019.
The present appeal has been filed by the assessee against the order of the ld. Pr.CIT(Central), Rajasthan, Jaipur dated 22/03/2019 passed U/s 12AA(3) and 12AA(4) of the Income Tax Act, 1961 (in short, the Act). Following grounds have been taken by th
This appeal by the assessee is directed against order of learned Commissioner of Income Tax (Appeals) [in short learned CIT(A)] dated 29.7.2016 and pertains to assessment year 2012-13.
This appeal by the Revenue is directed against the order of the learned Commissioner of Income Tax (Appeals)-21, Mumbai (‘ld.CIT(A) for short) dated 30.01.2017 and pertains to the assessment year (A.Y.) 2009-10.
This is an appeal by the assessee against the order of learned Commissioner of Income Tax (Appeals) [in short learned CIT(A)] dated 10.3.2015 pertaining assessment year 2007-08 wherein learned CIT(A) has dismissed the appeal without any discussion on
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