Income Tax Act, 1961 ["the Act"] arising from the assessment order
dated 31.12.2010 passed u/s 143(3) of the Act pertaining ... long-term capital
gain @20% under Section 40(a) (i) read with Section 195 of the Act
and not appreciating that the nature of income
erred
in not deleting the interest charged u/s 234B of the IT Act.
10. The appellant craves permission to add, amend, alter or vary ... 3185/Del/2015 are
narrated hereunder:-
A search and seizure operation u/s 132 in the case of M/s BPTP Ltd.
(earlier known
Pankaj Bansal, Gurgaon vs Pr,Cit (Central), Gurgaon on 31 May, 2021
//FIT FOR PUBLICATION
scrutiny and
notice under section 143(2) of the Income-tax Act, 1961( in short
'the Act') was issued and complied with ... assessment order passed under section
3
ITA No.4379/Del/2012
143(3) of the Act on 20/12/2011, the Ld. Assessing Officer after
Exemptions) vs. JITO Channai
chapterr that registration under section 12 AA of the act was refused on the
ground that object clause of the deed ... disputes by arbitration and therefore
assessee's object was not charitable in accordance with section 2(15) of the Act,
however
Shanghai Electric Group Co. Ltd., Noida vs Dcit (International Taxation), New ... on 14 July, 2017
Dcit, New Delhi vs M/S. Dlf Ltd., New Delhi on 27 May, 2019
IN
categorical finding of the
Income Tax Settlement Commission (ITSC) vide their order u/s
245 D(4) dated 22.6.2012 that Sh.S.K.Gupta ... ITAT Rules, 1963 to submit
that the additions made under section 153A of the Act are beyond the
scope of assessment proceedings as they
consultant approved the second claim for an amount of USD
12,29,652 and rejected the claim of USD 88,94,325. Thus the amount ... Pipeline Construction Expenses" and claimed as deduction u/s 37
of the Act.
22. Further, the assessee had issued a letter dated 31.07.2008, wherein
Income Tax Act ( hereinafter referred to as the ―act‖) passed in
pursuance of directions under section 144 C(5) of the Act by Ld
Dispute ... 12/2016. On 14/12/2016, there was a
further adjournment request, which was acceded to, and the
matter was finally adjourned to 19/12