Hardy Exploration And Production ... vs Assessee on 15 September, 2010
IN THE INCOME TAX APPELLATE TRIBUNAL
BENCH 'A' CHENNAI
Before ... Hardy Exploration & The Assistant Director of
Production (India) Inc., v. Income-tax, International
Floor 5, West Minister Building, Taxation,
108, Dr. Radhakrishnan Salai, Chennai
Hardy Exploration & Production (India) ... vs Assessee on 16 February, 2012
IN THE INCOME TAX APPELLATE TRIBUNAL
BENCH 'C' CHENNAI
Before Shri ... 1890/Mds/2011
Assessment Year : 2008-09
M/s. Hardy Exploration & The Assistant Director of
Production (India) Inc.,Floor No.5, v. Income
Chny/2014
not deducted TDS from the payments made to Hardy Exploration and
Production India Inc (HEPI) u/s 195.
3.1 The Commissioner of Income ... Without prejudice, only the profit accruing to MIs. Hardy Exploration
and Production India Inc on sale of crude to the Appellant which is
taxable
appellant had not deducted TDS from the
payments made to Hardy Exploration and Production India
Inc (HEPI) u/s 195.
3.1 The Commissioner of Income ... 2019
3.5 Without prejudice, only the profit accruing to MIs.
Hardy Exploration and Production India Inc on sale of
crude to the Appellant which
M/S. Chennai Petroleum Corporation ... vs Acit, Chennai on 20 March, 2019
आयकर अपील य
charter-hiring of offshore drilling rigs to oil
companies like ONGC, Hardy Exploration, etc. The revenue is in the nature of
charter-hire income from
Frontier Offshore Exploration (India) ... vs The Dy. Cit on 28 February, 2007
ORDER
T.R. Sood, Accountant Member
1. In this appeal by the assessee ... foreign currency in pursuance of an agreement with ONGC and Hardy Exploration and Production (India) Inc. ("HEPII" for short) to drill oil wells
Frontier Offshore Exploration (India) ... vs Assessee on 23 December, 2008
IN THE INCOME TAX APPELLATE TRIBUNAL
BENCH 'B' CHENNAI
Before Shri Abraham ... assessee had entered into an agreement with ONGC and M/s. Hardy
Exploration & Production (India) to drill oil wells in Indian waters
payment has been made by the assessee to M/s. Hardy
Exploration & Production (India) Incorporate (HEPI). As the provision of
Section 44BB applied
Appellant had not deducted TDS from the payments
made to Hardy Exploration and Production India Inc u/s.195.
3.1 The Commissioner of Income ... respect of the payments made to M/s.Hardy
Exploration & Production India (in short "M/s.HEPI