The Hon'ble Madras High Court in the case of M/s. Chennai Petroleum Company Ltd. (CPCL) v. Commissioner of GST & Central Excise [C.M.A.Nos.4298, 4299 and 4301 of 2019 dated, October 28, 2020] rejected the refund of excise duty under Section 11B of th
The Hon'ble Allahabad High Court in the matter of Ansari Construction vs. Additional Commissioner, CGST(Appeals)& Ors. [Writ Tax No. 626 of 2020 dated November 24, 2020]set aside ex-parte order seeking to cancel assessee’s registration for failure to
These appeals by the assessee for the assessment year 2014-15are directed against the orders of learned CIT(A), New Delhi dated 21.11.2019 and 03.08.2017 respectively.
This appeal by the assessee for the assessment year 2011-12 is directed against the order of learned CIT(A), New Delhi dated 31.07.2019.
This is an appeal filed by the assessee USEKIWI INFOLABS PVT LTD [ TheAssessee/ Appellant] against the order of the Commissioner of Income Tax(Appeals) – 9, , New Delhi [ld CIT(A)] dated 30.09.2019 for the AY 2016-17wherein the appeal of the assessee
These appeals by two assessees belonging to the same group are directed against respective orders of learned CIT(A)-26, Mumbai [in short ‘the CIT(A)] dated for Assessment Year 2009-10.
These appeals by two assessees belonging to the same group are directed against respective orders of learned CIT(A)-26, Mumbai [in short ‘the CIT(A)] dated for Assessment Year 2009-10.
The captioned appeals filed by the assessee are directed against theorder of the Commissioner of Income Tax (Appeals)-I, Mumbai [in short ‘CIT(A)’] and arise out of the assessment order u/s 143(3) of the Income TaxAct 1961 (the ‘Act’). As common issu
This is an appeal filed by the assessee. The relevant assessment year is 2010-11. The appeal is directed against the order of the Commissioner of Income Tax (Appeals)-55, Mumbai [in short ‘CIT(A)’] and arises out of the assessment completed u/s 143(3
The captioned appeals filed by the assessee are directed against theorder of the Commissioner of Income Tax (Appeals)-I, Mumbai [in short ‘CIT(A)’] and arise out of the assessment order u/s 143(3) of the Income TaxAct 1961 (the ‘Act’). As common issu