By this Stay Petition, the assessee is seeking to stay the recovery of outstanding tax arrears of Rs.1260,56,49,209.
At the time of hearing before us, the learned Counsel for the assessee, by placing a letter dated 03rd December, 2020, requested for permission to withdraw the Stay Petitions filed by the assessee. The learned DR did not raise any objection for the s
These appeals have been filed by the Revenue under Section260A of the Income Tax Act, 1961 (hereinafter referred to as “the Act”)challenging the common order dated 07.07.2014 passed by the Income TaxAppellate Tribunal 'D' Bench, Chennai (for brevity
These appeals have been filed by the Revenue under Section 260A of the Income Tax Act, 1961 (hereinafter referred to as “the Act”) challenging the common order dated 07.07.2014 passed by the Income TaxAppellate Tribunal 'D' Bench, Chennai (for brevit
Hon’ble Mr. Justice Ashok Bhushan pronounced the Reportable judgment of the Bench comprising His Lordship, Hon’ble Mr.Justice R.Subhash Reddy and Hon’ble Mr. Justice M.R. Shah.
The appellant M/s. ACME Warehousing Private Ltd. has filed thisintra court writ appeal, only aggrieved by the observation of the learnedSinge Judge in paragraph 2 of the order dated 25.08.2020 made in W.P.No.8086 of 2020.
(Judgment of the court was made by Dr.VINEET KOTHARI, J.)The present Appeals are squarely covered by the decision of this Courtin PVR Ltd. v. CTO (W.A.No.685, 694 to to 697 decided on 15.10.20020) which dealt with the question of taxability of the En
PRAYER IN W.A.No.582 of 2020: This Writ Appeal is filed under Clause 15 of the Letters of Patent to set aside the order dated 11.06.2019 made in W.P.No.34079 of 2007.
This appeal filed by the assessee is directed against the Assessment Order Dt.30.12.2016. The assessee is aggrieved by the decision of ld. ACIT, Circle 7(1)(2), Bangalore.
The assessee has filed this appeal challenging the assessmentorder passed by AO for the assessment year 2013-14 in pursuanceof directions given by Ld Dispute Resolution Panel (DRP).