Rajasthan Cricket Association and Anr. vs ITO and Ors.
Validity of: Recovery of tax-Appeal pending before Tribunal - Rectification pending before AO-A.Y. 2008-2009 to 2009-2010. The assessee's rectification application was pending before the AO and appeal was pending before the Tribunal.
Mentha and Allied Products Ltd. and Anr. vs UOI
Computation of deduction under s.80HHC-Sales of: DEPB Credits, DFRC-A.Y. 1998-1999. The assessee who had export turnover of more than Rs.10 cores became entitled to deduction after retrospective amendment of S.80HHC(3) [LexDoc Id : 465438]
DIT vs Alcatel Lucent USA, Inc. and Alcatel Lucent World Services Inc.
Interest leviable - Nonpayment of Advance - tax-Non-resident denying liability-A.Y. 2004-05 - 2008-09.
The asseseee was a non-resident. Though it originally denied liability to tax in India it accepted the liability before C [LexDoc Id : 456901]
Luminant Investments (P) Ltd. vs DCIT
Speculation loss-Loss on Valuation of stock/inventories-A.Y. 2006-2007. The main business of assessee was trading in shares. During the year there was no business activity. The declared loss was due to valu [LexDoc Id : 463208]
ITAT (Mumbai)
2013
CIT vs Sanghamitra Bharali
Powers of High Court-Setting aside Tribunal's order-The Court could set aside perverse order of Tribunal.
S. 260A. [LexDoc Id : 459458]
CIT vs Doon Valley Rubber Industries
Manufacture or production of an article-Converting rubber scrap into rubber crumbs-A.Y. 2004-2005. The assessee was converting rubber scrap into rubber crumbs which could be used to manufacture new tyres. It was manufacturing an arti [LexDoc Id : 458353]