This appeal filed by the assessee is directed against the order dated 7th February 2011 of the CIT(A), Ghaziabad, relating to assessment year 2004-05.
This appeal by the Revenue filed under Section 260 A of the Income Tax Act, 1961 ('the Act' for brevity), is directed against the order dated 23.12.2010 passed by the Income Tax Appellate Tribunal, Chennai, 'A' Bench ('the Tribunal' for brevity) in I
Facts of the case in brief are that the appellant is a 100% Export Oriented Unit (EOU) engaged in providing network management and other services to their clients. They also avail the benefit of CENVAT Credit as per Cenvat Credit Rules, 2004 (CCR, 20
This appeal by the assessee is directed against the order of ld.Pr. Commissioner of Income Tax(in short ‘Ld. Pr. CIT’,-2 Indore dated 29.03.2019 pertaining to assessment year 2015-16.The assessee has raised following grounds of appeal:
The issue involved in the matter is that whether the provisions of Rule 6 (3) of CCR, 2004 is applicable to the facts of this case or not?
The Appellant, an owner of a cinema hall called ‘Golcha Cinema’ and engaged in the business of exhibiting films in this theatre, has assailed the order dated January 25, 2016 passed by the Principal Commissioner of Service Tax, Delhi1 that confirms t
Both the assessee and the Department are in appeal against the impugned de novo Order dated 25.03.2009 passed by the learned Commissioner, Central Excise, Dibrugarh, whereby the demand of Service Tax of Rs.2,63,36,665/- has been confirmed under the c
Present petition has been filed under section 482 Cr.P.C. seeking setting aside the order dated 24.09.2020, 05.10.2020, 21.10.2020 & 28.10.2020 passed by learned ACMM (Spl. Acts), Central District, Tis Hazari Courts, Delhi in Misc. Crl. 102/2020 titl
The above appeal is by the assessee against the order of Commissioner of Income-tax (Appeals)-8, Ahmedabad dated 23.10.2019 passed under section 250(6) of the Income Tax Act, 1961 for the assessment year 2015-16.
Securities and Exchange Board of India ("SEBI") had conducted investigation against several Indian companies that had issued Global Depository Receipts ("GDR") in overseas markets. In this regard, on an enquiry with European American Investment Bank