Principal Commissioner Of Income Tax 01 vs Actis Global Service Pvt. Ltd on 13 April, 2018
Bench: R.K. Agrawal , Abhay Manohar Sapre
ITEM ... Delhi)
PRINCIPAL COMMISSIONER OF INCOME TAX-01 Petitioner(s)
VERSUS
ACTIS GLOBAL SERVICE PVT. LTD Respondent(s)
(FOR ADMISSION & I.R.)
Date
securi ti es coul d not be attri butabl e
to the acti vi t y ca rri ed out by the soci ... ground No.1, the assessee has chal l enged the acti on
of the Ld.CI T( Appeal s) in uphol
also not valid, since
according to the Petitioner, it is ACTIS AFIC Credit Management
Limited has executed assignment in favour of Respondent No.1
whereas ... financial dealing with Respondent
No.4-AFIC. The unknown entity ACTIS AFIC Credit Management
4/17
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appellant."
5. The above groun d i s agai nst the acti on of the CI T( A) i n
treati ... above ground the assessee has chal l enged the
acti on of Ld. CI T( A) in al l ocating e xpenses
during the year under consideration.
He further observed that M/s. Actis Consumer Grooming Products Ltd., Mauritius(Actis)
subscribed to 29.17% shares of Super ... Super Max Mauritius,
that sale of stock to M/s.Actis was to be taken as basis of valuing the stake of remaining
70.83% shares
Delhi vs M/S Actis Global Services Pvt. Ltd.,, ... on 30 October, 2018
IN THE INCOME TAX APPELLATE TRIBUNAL
DELHI BENCH ... 2015
Assessment Year: 2011-12
Income Tax Officer, vs. M/s Actis Global Services Pvt. Ltd.,
Ward 1(3), MIRA, The Corporate Suites,
New Delhi
Acti C-1(1), Chandigarh vs M/S Quixotic Healthcare, Chandigarh on 18 December, 2018
आयकर अपील
य अ धकरण,च डीगढ़ यायपीठ "बी
Dcit, New Delhi vs M/S. Actis Advisers Pvt. Ltd., New Delhi on 5 January, 2018
IN THE INCOME TAX APPELLATE TRIBUNAL
DELHI BENCHES ... 2014
Assessment Year 2005-2006
The DCIT, Circle-1(1), M/s. Actis Advisers Pvt. Ltd.,
Room No.392, C.R. Bldg., Mira, The Corporate
decision of the Delhi Bench of the Tribunal in the case of Actis Adviers (P.) Ltd. vs.
ACIT (55 taxman.com 485) to say that ... that the
functional profile noted by the Bench in the case of Actis Advisers (P.) Ltd was on
wrong footing, which has been eloquently brought
work rel ated to
chari tabl e acti vi ti es. Accordi ngl y, after se eki ng due
e xpl anati on from ... essee was carr yi ng out busi ness/ commerci al
acti vi ti es. He further noted th at the assessee had not
mai ntai