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The respondent has filed a status report dated 24 th September, 2020. The said report is reproduced hereinbelow:-

"F. No. ACIT/Cir-3(1)(1)/Intl. Tax./2020-21/ Dated: 24.09.2020 Status Update in WP(C) No. 4319 of 2020 in the matter of Technip Singapore PTE Ltd. Vs. Deputy Commissioner of Income Tax Circle 3(1)(1)(IT), International Taxation, New Delhi (AYs. 2009-10, 2010-11 & 2011-12)
1. The assessee has claimed a total refund of Rs.13,19,07,142/- (plus consequential interest) for the 03 Assessment Years in question (Reference Pg.14 of the Writ Petition). This refund, as per the assessee, originates from the assessee's cumulative TDS for the 03 years after adjusting its cumulative tax liability. It may be noted that out of this refund amount, the assessee has attributed Rs.12,40,66,110/- to tax deducted by Indian Oil Corporation Limited (IOCL) in AY 2009-10 (Reference Pg.66 of the Writ Petition).