This appeal filed by the assessee for the assessment year 2009-10 is directed against the order of learned CIT(A)-19, New Delhi dated 11.02.2019.
Aggrieved the order dated 10.03.2021 passed by the learned Commissioner of Income Tax (Appeals)-24, New Delhi ("Ld. CIT(A)") for the assessment year 2012-13, Karina Airlines International Limited (“the assessee”) filed this appeal.
These are three appeals for two Assessment years pertaining to one assessee, Mr. Valmik Thapar, a resident, Individual [Assessee]. Assessee filed ITA number 5767/Del/2015 for assessment year 2007 – 08 and ITA number 6346/Del/2014 for A Y 2010-11. Ld
Appellant, Asstt. Commissioner of Income Tax, New Delhi (hereinafter referred to as ‘the revenue’) by filing the present appeal sought to set aside the impugned order dated 22.12.2017 passed by the Commissioner of Income-tax (Appeals)-22, New Delhi q
Aggrieved by the orders passed by the learned Commissioner of Income Tax (Appeals)-23 (“Ld. CIT(A)”), in the case of JKG constructions Pvt. Ltd (“the assessee”), for the assessment years 2009-10 to 2011-12, deleting the additions, Revenue preferred t
This appeal is filed by the Assistant Commissioner of Income Tax, Circle 47 (1), New Delhi, for assessment year 2009-10 against the order passed by the CIT (Appeals)-16, New Delhi, dated 30.10.2015.
This appeal has been preferred by the assessee against order dated 06.01.2017 passed by the Learned Commissioner of Income Tax (Appeals)-27, New Delhi {CIT(A)} and pertains to Assessment Year: 2013-14.
This appeal filed by the assessee is directed against the order dated 16th October, 2017 of the CIT(A)-21, New Delhi, relating to assessment year 2014-15.
The Hon'ble Delhi High Court in Sanjay Aggarwal v. National Faceless Assessment Centre, Delhi [Writ Petition (C) 5471/2021 dated June 2, 2021] held that the usage of word ‘may' under Section 144B(7)(vii) of the Income Tax Act, 1961 (“IT Act') could n
The AAR, Kerala, in Abbott Healthcare Pvt. Ltd. [Advance Ruling No. KER/97/2021 decided on June 07, 2021] held that the placement of specified medical instruments to unrelated customers like hospitals, labs etc., for their use without transfer of own
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