The present appeals filed by the assessee are directed against the respective orders passed by the Pr. Commissioner of Income-tax-2, Mumbai [Pr.CIT] under Sec. 263 of the Income-tax Act, 1961 [for short ‘Act’], dated 26.03.2019 AND the order passed b
Appellant, M/s. Vedanta Limited (hereinafter referred to as ‘the taxpayer’) by filing the present appeal sought to set aside theimpugned order dated 28/11/2019 passed by the Assessing Officer(AO) in consonance with the orders passed by the ld. DRP/TP
This appeal filed by the assessee is directed against the order dated 31st October, 2017 passed by the Ld. CIT(A) Ghaziabad relating to assessment year 2014-15.
This Writ Appeal is filed against the Final order dated 02.08.2017passed in W.P.No.6566 of 2004. The respondents 1 to 5 herein filed W.P.6566 of 2004 seeking to issue a Writ of Certiorari calling for the records relating to the order dated 19.02.2004
The First Respondent by Order No. TIN: 33141603667/2014-15 dated 17.07.2017 had assessed the liability of the Petitioner for tax for the year 2014-2015 and imposed penalty under the Tamil Nadu Value Added Tax Act, 2006 (hereinafter referred to as the
The Hon'ble AAR Odisha, in the matter of Tokyo Electric Power Co.[Order No.02/Odisha-AARJ2020-21 dated November 19, 2020] held that supply of consultancy service to an Indian entity Odisha Power Transmission Corporation Limited ("OPTCL") is not impor
The present appeal by the assessee is directed against the order of Commissioner of Income Tax (Appeals)-20, New Delhi, dated 23.10.2015 passed for assessment year 2009-10.
This appeal filed by the assessee is directed against the order dated 18.03.2016 passed by the CIT(A)-1, Gurgaon, for assessment year 2010-11.
In the aforesaid appeals of different assessees identical issues are involved and are aggrieved by separate impugnedorders of even date, 29th September, 2011, passed by the Ld.CIT (Appeals)-XI, New Delhi for the quantum of assessment passed u/s 147/1
This Miscellaneous application is filed by the ld. Assessing Officer in ITA. No. 1945/Del/2011 wherein appeal filed by the Revenue for Assessment Year 2008-09 was dismissed on account of low tax effect prevailing as on that date of Rs.10 lakhs. The R