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Sony Pictures Networks India P. Ltd ( ... vs Asst Cit 12(3)(2), Mumbai on 14 March, 2019

सत्म वऩत प्रतत //True Copy// आदे शानुसार/ BY ORDER, उि/सहायक िंजीकार (Dy./Asstt. Registrar) आयकर अिीऱीय अधिकरण, भुंफई / ITAT, Mumbai P a g e |4 ITA No.397/Mum/2019 A.Y. 2010-11 Sony Pictures Networks India Pvt. Ltd. Vs. The Assistant Commissioner of Income-tax-3(2)
Income Tax Appellate Tribunal - Mumbai Cites 1 - Cited by 2 - Full Document

The Commissioner Of Income Tax (Tds) vs M/S Tata Tele Services on 6 May, 2015

In the backdrop of the aforesaid facts, we may herein observe, that the Hon'ble High Court of Bombay in the case of P a g e |3 ITA No.397/Mum/2019 A.Y. 2010-11 Sony Pictures Networks India Pvt. Ltd. Vs. The Assistant Commissioner of Income-tax-3(2) CIT Vs. Tata Tele Services (Maharashtra) Ltd., while disposing off the Writ Petition (Lodg) No.3437 of 2015, had vide its order dated 16.12.2015, held that if the delay in disposing off the appeal is not attributable to the assessee, then the stay can be extended beyond the prescribed time limit provided under the statute. At this stage, we may herein observe, that we are unable to persuade ourselves to subscribe to the objection of the ld. D.R to the grant of extension of the stay on the recovery of the outstanding demand of the assessee. Accordingly, in terms of our aforesaid observations, in the fitness of things the stay on the recovery of the outstanding demand is extended for a further period of six months or till the disposal of the appeal, whichever is earlier.
Supreme Court - Daily Orders Cites 0 - Cited by 7 - Full Document
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