appropriate equipment.
Explanation. For the purposes of this section,
(a) computer means any device that receives, stores and? processes data, applying stipulated processes ... provisions of Section 36 B would come into operation only when the computer print outs were sought to be relied upon without any corroborative evidence
claim of a manufacturer as a permissible deduction in the computation of income that amount of excise duty which is being challenged in the writ ... Courts. According to Shri Mehta, this dispute should be considered without clouding the thinking on account of insertion of Section 43B , which comes into force
accessed
server at Minjar Cloud Solution
Private Ltd., and taken
information pertaining to
fnancial activities of the
company, clients of the company
with an intention ... address
No.106.51.241.254 has accessed
server of Minjar Cloud Solution
Private Ltd., and deleted
information pertaining to
fnancial activities and customers
promoter of the iconic Company of Andhra
Pradesh, M/s Sat yam Computers had created turmoil in
all circles and opened a Pandora ... Satyam Computers
ltd, he had also mentioned about 33 specific companies
that had given amounts to M/s Sat yam computers ltd. A
separate statement
promoter of the iconic Company of Andhra
Pradesh, M/s Sat yam Computers had created turmoil in
all circles and opened a Pandora ... Satyam Computers
ltd, he had also mentioned about 33 specific companies
that had given amounts to M/s Sat yam computers ltd. A
separate statement
sister-in-law of Shri B. Ramalinga
Raju, Chairman of Satyam Computer Services Ltd. In light of the
confessional statement dt. 07-01-2009 made ... Satyam computers Ltd, he had also
mentioned about 33 specific companies that had given amounts to M/s.
Satyam computers Ltd. A separate statement
statute is not exhaustive or where its language is ambiguous, uncertain, clouded or susceptible of more than one meaning, then certainly the external ... purpose of WT Act by including the same for the purpose of computing the net wealth is not correct. We, therefore, direct
appl ying the
prevailing foreign currency rate. A computation of income for AY 2018-
19 was placed before the Tribunal to support the claim towards ... impugned income (with minor differences) in the later
year when the confusion clouding the applicabilit y of AS-11 was drifted .
The learned AR thus
Cbi vs Vivek Sinha & Ors. on 19 January, 2015
CBI vs Vivek Sinha &
Ishmali Devi vs Delhi Development Authority on 17 October, 2017
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IN