These two appeals by the assessee for the for assessment years 2012-13 and 2013-14 are directed against the orders of Dispute Resolution Panel-3, Mumbai.
This appeal by the Revenue against the order dated 06-03-2020 passed by the Commissioner of Income Tax (Appeals)-6, Pune [„CIT(A)‟] for assessment year 2015-16.
The Court considered it appropriate to direct that such services may be effected by e-mail, FAX, commonly used instant messaging services, such as WhatsApp, Telegram, and Signal etc. However, if such services are made by means of said instant messagi
The Hon’ble Delhi High Court ("HC") in Vandna Pharma Industries v. Commissioner of Goods and Service Tax ("GST") [W.P. (C) No. 5228/2021 decided on May 07, 2021] noted that nothing has been shown to the Court by the Revenue Department which would con
"On the facts and circumstances of case and in law, the Ld.CIT(A) erred in deleting the addition of Rs.20,90,19,879/- being the amount received on account of Share Premium, without appreciating the fact that assessee, as recorded in the assessment or
Aforesaid appeals by assessee for Assessment Years (AY) 2013-14 & 2014-15 contest ommon order of Learned Commissioner of Income-Tax (Appeals)-33, Mumbai [CIT(A)], dated 06/12/2018 qua confirmation of certain expense disallowance as well as depreciati
This appeal by the assessee is directed against the order of the learned Commissioner of Income Tax (Appeals)-9, Mumbai (‘ld.CIT(A) for short) dated 18.06.2019 and pertains to the assessment year (A.Y.) 2012-13 and the issue raised is confirming the
This is an appeal by the Assessee against the order dt. 24/04/2019 of the Ld. CIT(A)-1, Chandigarh.
This appeal is filed by the assessee against the order of the ld. Pr. CIT-8,New Delhi, dated 24th March, 2017 for assessment year 2009-10 passed under Section 263 of the Income Tax Act, 1961 (the Act). This appeal was disposed off by the co-ordinate
With this appeal the assessee has challenged the validity of the order dated 28.09.2017 passed u/s 143(3) read with section 144C of the Act.