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The Uttarakhand High Court strongly criticized the actions of the tax department in the case of Kotdwar Steel Limited versus ...
In the case of Castrol India Limited vs. State of Jharkhand, the Jharkhand High Court addressed a dispute concer ...
1. Delay condoned. 2. These Special Leave Petitions are squarely covered by the Judgment of this Court rendered on 3-10-2024 ...
The Telangana High Court has directed state revenue authorities to consider and decide upon a representation filed by ...
This appeal has been filed by the Assessee against the order passed by the Ld. Principal Commissioner of Income Tax, (in short “Ld. PCIT”), Ahmedabad-1 vide order dated 29.02.2024 passed for A.Y. 2016 ...
The Bombay High Court addressed the applicability of Section 50C of the Income Tax Act, 1961, to the transfer of property held under a leasehold right in the case of Vidarbha Veneer Industries Ltd. vs ...
Recognizing the genuine difficulty in pursuing the statutory remedy of appeal, the Kerala High Court disposed of the writ petition by granting the petitioner liberty to file an appeal before the GSTAT ...
Based on this evidence, the Madras High Court concluded that since the contested assessment orders were issued against an individual who was already deceased, they could not be sustained. Consequently ...
Tabasco Hindustan Infra Developers Private Limited Vs Assistant Commissioner of Central Tax And Central Excise (Kerala High Court) Kerala High Court dismissed a writ petition file ...
Petitioner challenges the orders of the Appellate Authority under the Central Goods and Services Tax Act, 2017 (for short, the CGST Act’) for the financial years 2020-21 and 2021-22.
The ITAT observed a fundamental flaw in the assessment, noting that additions were made to both the asset and liability sides of the balance sheet, which violates basic taxation principles. Given ...
Petitioner seeks for a direction for release of the goods and the vehicle covered by Ext.P9, after payment of tax and penalty in respect of 4000 kgs. of goods found in excess of that covered by Ext.P1 ...
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