income-tax authority referred to in sub-section (1) of the section 285BA of Income-tax Act, 1961 (43 of 1961) or such other authority ... agency which is prescribed under sub-section (1) of section 285BA shall electronically transmit a copy of statement received by it under sub-section
entity dealing with borrowing and lending business. Under the
provisions of Section 285BA of the Act, every person who is an assessee or other
categories ... Cooperative Bank
Limited an assessee falling within the ambit of Section 285BA failed to comply
with this legal requirement for the period
entity
dealing with borrowing and lending business. Under the provisions of Section 285BA of
the Act, every person who is an assessee or other categories ... Central Cooperative Bank Ltd an assessee falling within the
ambit of Section 285BA failed to comply with this legal requirement for the period
income-tax authority referred to in sub-section (1) of the section 285BA of Income-tax Act, 1961 (43 of 1961) or such other authority ... agency which is prescribed under sub-section (1) of section 285BA shall electronically transmit a copy of statement received by it under sub-section
information was received from the
transactions reported in AIR furnished u/s.285BA of the I.T. Act that
the assessee has sold property
that as per the information received from
AIR furnished u/s 285BA of the Act, the A.O. observed that the assessee sold
property
factors I direct the Assessing Officer to verify AIR returns u/s 285BA of past years or
conduct enquiry with Reliance Mutual Fund
brief, are that on the basis of AIR
information received u/s.285BA of the Act that the assessee has
made deposits
Brief facts of the case are that as per
provisions of Section 285BA of the Act, Sub Registrar
(assessee) was required to file the Annual
past few years including these years of the statutory liability u/s
285BA of the I. T. Act but to no avail. This shows that ... past few years including these years of the statutory liability
u/s 285BA of the I.T. Act but to no avail. This shows that