Aforesaid appeal by revenue for Assessment year [AY in short] 2009-10 contest the order of Ld. Commissioner of Income Tax(Appeals)-22, Mumbai [in short CIT(A) ] which has provided certain relief to the assessee on account of alleged bogus purchases.
Aforesaid appeal by revenue for Assessment year [AY in short] 2011-12 contest the order of Ld. Commissioner of Income Tax (Appeals)-18, Mumbai [in short CIT(A) ] dated 26/08/2019 which has provided certain relief to the assessee on account of alleged
Aforesaid appeal by revenue for Assessment Year [AY] 2007-08 contest the order of Ld. Commissioner of Income-Tax (Appeals)-21, Mumbai [CIT(A)] dated 30/08/2019 which has deleted the penalty of Rs.11 Lacs u/s 271(1)(c) as levied by Ld. AO vide penalty
Aforesaid appeal by revenue for Assessment year [AY in short] 2011-12 contest the order of Ld. Commissioner of Income Tax (Appeals)-24, Mumbai [in short CIT(A) ] which has provided certain relief to the assessee on account of alleged bogus purchases.
This appeal by the assessee is directed against the order of learned Commissioner of Income Tax (Appeals) dated 29.11.2019 and pertains to assessment year 2015-14.
The Hon'ble Telangana High Court in case of M/S Golden Mesh Industries v. Assistant Commissioner State Tax [W.P. No. 7789 of 2021, dated March 31, 2021] set aside the best judgment assessment order passed for non-compliance with the request to file G
Issue an appropriate writ in the nature of mandamus or any other Writ, Order or direction, thereby directing the Respondents to exempt the registered association, organization or person(s) defined under S.2(1)(m) of the Foreign Contribution (Regulat
These appeals, impugn the common order dated 6th July, 2018 of the Income Tax Appellate Tribunal (ITAT) (in ITA No.836/Del/2014 for the Assessment Year 2009-10 and in ITA No.554/Del/2015 for the Assessment Year 2010-11, allowing the appeals of the Re
These two appeals by the assessee arise out of the separate orders dated 23-07-2019 passed by the CIT(A)-1, Nashik in relation to the assessment years 2011-12 and 2014-15.
This appeal by the assessee arises out of the order dated 05-12-2016 passed by the CIT(A)-2, Pune in relation to the assessment year 2012-13.