Challenging the orders of the Commissioner of Income Tax (Appeals) - 40, Delhi (“Ld. CIT(A)”) in the case of India International Centre (“theassessee”), for the assessment years 2013-14 and 2014-15, Revenue preferred these appeals on identical ground
This appeal is filed by the revenue against the order of the Learned Commissioner of Income Tax (Appeals) – 3, Mumbai [hereinafter in short “Ld.CIT(A)”] dated 12.11.2018 for the A.Y. 2008-09 in restricting the addition to 5% of purchases as against t
Since common questions of facts and law have been raisedin both the aforesaid appeals, the same are being disposed off by way of consolidated order to avoid repetition of discussion.
ITA No.1448/Bang/2017 is an appeal by the assessee, while ITA No.1660/Bang/2017 is an appeal by the revenue. Both these appeals aredirected against the order dated 12.04.2017 of the CIT(Appeals)-I, Bengaluru, relating to assessment year 2010-11.
All these appeals are filed by the assessee against the order of theCommissioner of Income Tax (Appeals)-3, Visakhapatnam dated15.10.2018 with the delay of 54 days .
All these appeals are filed by the assessee against the order of theCommissioner of Income Tax (Appeals)-3, Visakhapatnam dated15.10.2018 with the delay of 54 days .
All these appeals are filed by the assessee against the order of theCommissioner of Income Tax (Appeals)-3, Visakhapatnam dated15.10.2018with the delay of 54 days .
These appeals are filed by the assessee against the order of the Principal Commissioner of Income Tax (Pr.CIT)-1, Visakhapatnam passed u/s 263 of the Income Tax Act, 1961(in short ‘Act’) dated 23.03.2016 with the delay of 1037 days and the same is nu
This appeal is filed by the revenue against the order of the Commissioner of Income Tax (Appeals) [CIT(A)], Rajamahendravaram in ITANo.10128/2017-18/ITO,W-1,Tuni/VSP/2018-19 dated 21.03.2019 for the Assessment Year(A.Y.)2015-16 with the delay of 17 d
This appeal was filed by the assessee against the order of the Principal Commissioner of Income Tax-1, Visakhapatnam u/s 263 of theAct dated 31.03.2019. The order was served on the assessee on08.04.2019 and the assessee filed the appeal before the Tr