Judgements and Orders, Supreme Court and High courts of India



In Evertime Overseas Private Limited v. Union of India and ors. [WRIT PETITION NO.3793 OF 2021 dated October 8, 2021], Evertime Overseas Private Limited ("the Petitioner") filed petition claiming that he is entitled to refund under the provisions of

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This appeal in ITA No.7066/Mum/2019 for A.Y.2016-17 arises out of the order by the ld. Commissioner of Income Tax (Appeals)-24, Mumbai in appeal No.CIT(A)-24/ITO-15(1)(1)/it-307/2018-19 dated 26/08/2019 (ld. CIT(A) in short) against the order of asse

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This appeal by the Assessee is directed against the order of learned CIT(A)-40 dated 22.11.2019 and pertains to Assessment Year 2015-16.

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This appeal by the assessee is directed towards the order of the CIT(A)-42, New Delhi dated 30.12.2016 pertaining to A.Y 2012-13.

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This appeal by the assessee is preferred against the order of the Commissioner of Income Tax [Appeals], Meerut dated 29.01.2018 pertaining to assessment year 2009-10.

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ITA No.2234/Del/2019 is the appeal by the assessee preferred against the order of the CIT(A)-15, Delhi dated 28.12.2018 pertaining to A.Y.2010-11.

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The present appeal has been filed by the assessee, wherein the assessee assails the correctness of the order dated 27.03.2018 of CIT(Appeals), New Delhi pertaining to 2013-14 assessment year. Although various grounds have been raised assailing the or

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This appeal by the assessee is preferred against the order dated 30.03.2021 framed u/s 143(3) r.w.s 254 of the Income tax Act, 1961.

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Present appeal has been filed by assessee against order dated 19/05/2017 by the Ld.DCIT, Circle 4(1)(2), Bangalore.

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The Honorable Karnataka High Court ("Karnataka HC") in the matter of M/S. Bundl Technologies Private Limited v. Union of India [WP 4467/2021 (T-RES) dated September 14, 2021], held that Swiggy’s payment made as goodwill gesture during investigation c

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