The assessee has filed this appeal challenging the order dated 7.2.2018 passed by Ld. CIT(A)-3, Bengaluru and it relates to assessment year 2014-15.
Securities and Exchange Board of India (hereinafter referred to as "SEBI") initiated adjudication proceedings under Section 15HA of the Securities and Exchange Board of India Act, 1992 (hereinafter referred to as "SEBI Act"), the alleged violations o
The appellant is engaged in the manufacture and sale of automobiles and in this regard, it imports various parts and components.
The appellant had filed an application dated October 23, 2020 (received by the respondent through RTI MIS Portal) under the Right to Information Act, 2005 (“RTI Act”). The respondent, by a letter dated November 10, 2020 responded to the application f
Securities and Exchange Board of India (“SEBI”) received a letter dated September 19, 2019 from Vistara ITCL (India) Ltd. (‘Vistara’), a SEBI registered Debenture Trustee in which Vistara had provided a list of companies from which it had not receive
Maithan Alloys Limited (hereinafter referred to as 'the company' or 'MAL'), is a company having its shares listed on National Stock Exchange of India limited (‘NSE’), The Calcutta Stock Exchange Limited (‘CSE’) and Metropolitan Stock Exchange of Ind
Indiabulls Housing Finance Ltd. (“Target Company”) is a company incorporated on May 10, 2005 having its registered office address at M–62 & 63, 1st Floor, Connaught Palace, New Delhi–110001 and carries on the business of a housing finance institution
This writ appeal is directed against the order dated 11.06.2019 in W.P. No.34764 of 2007. The said writ petition was filed by the Chennai Port Trust, the Respondent herein, for a Writ of Mandamus to forbear the Appellants herein from demanding paymen
These two appeals are filed by the assessee against different orders of Commissioner of Income Tax (Appeals)-10, Bangalore Dt.11.01.2018 for the Assessment Years 2009-10 & 2014-15. Since certain issues are common in both the appeals, they are heard t
This appeal is by the assessee directed against the order of CIT(A) dated 24.03.2017. The assessee raised the following grounds: