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Documents Found: 131 |
Title |
Forum |
Year |
DDIT vs Cie de Navegacao Norsul
Income deemed to accrue in India-International traffic in shipping, Income from feeder vessels: Slot arrangement-AY 2001-02. The assessee was a non-resident company incorporated in Brazil. It was engaged in transportation of cargo in international traffic by ship [LexDoc Id : 352470]
|
ITAT (Mumbai) |
2008 |
Essar Shipping Ltd. vs DCIT
Transfer Pricing-Arms length price: Hiring of ships from associate enterprise-The assessee took a ship on hire from EIL which was its associate enterprise. The TPO accepted the arm's length price for hire charge paid on cost plu [LexDoc Id : 353888]
|
ITAT (Mumbai) |
2008 |
Burmah Castrol Plc. vs DIT
Burmah Castrol Plc., In re
[LexDoc Id : 350724]
|
AAR |
2008 |
Mustaq Ahmed vs DIT
Mustaq Ahmed, In re
Income of non-resident-Income received in India, Income from proprietary concern in India-The applicant was a non-resident. It had a proprietary concern in India for manufacturing and export of jewellery. The income from sale was received i [LexDoc Id : 350636]
|
AAR |
2008 |
Jt DIT vs CMA CGM SA France
Income deemed to accrue or arise in India-Income from: Shipping in international traffic, Slot chartering arrangement-AY 2002-03. The assessee a French company was in the business of operating ships in international traffic. It also received income from use of ships o [LexDoc Id : 354968]
|
ITAT (Mumbai) |
2008 |
Carlton Hotel (P) Ltd. vs. ACIT
Cost of acquisition-Fair market value as on 1 April 1981-The asset sold was acquired before 1 April 1981. The assessee was entitled to exercise his option to adopt the Fair Market Value as on 1 April 1981 as [LexDoc Id : 364054]
|
ITAT |
2008 |
Tata Consultancy Service Ltd. vs ACIT
[LexDoc Id : 354944]
|
ITAT (Bangalore) |
2008 |
Intertek Testing Services India (P) Ltd. , In re
Fees for technical services [FTS]-Testing and inspiration services-The applicant was an Indian Company providing testing and inspection services to its Indian and foreign clients. It was a subsidiary of a UK based com [LexDoc Id : 349600]
|
AAR |
2008 |
Shekhar Goel vs Enforcement Directorate
[LexDoc Id : 363131]
|
ATFE (Delhi) |
2008 |
Wipro Ltd. vs DCIT and CIT
DCIT vs Wipro Ltd.
[LexDoc Id : 355878]
|
ITAT (Bangalore) |
2008 |
Pride Foramer Sas vs CIT
ACIT vs Pride Foramer Sas
[LexDoc Id : 353011]
|
ITAT (Delhi) |
2008 |
DDIT vs Delmas Shipping South Africa (Pty) Ltd. and Parekh Marine AG (P) Ltd.
[LexDoc Id : 349817]
|
ITAT (Mumbai) |
2008 |
ACIT vs Transocean Offshore Deep
Transocean Offshore Deep Water Drilling Inc. vs ACIT
[LexDoc Id : 351840]
|
ITAT (Delhi) |
2008 |
Trade Wings Ltd. vs CC
[LexDoc Id : 353005]
|
CESTAT (Mumbai) |
2008 |
Hindustan Unilever Ltd. vs D.A. Sheldekar
[LexDoc Id : 349053]
|
HC (Bombay) |
2008 |
ISRO Satellite Centre [ISAC] vs DIT
Income attributable to Permanent Establishment-Regional office of non-resident company-It was alleged that IGL of UK had a regional office in India. However, the applicant received no service from said office. No part of IGL's income was [LexDoc Id : 348631]
|
AAR |
2008 |
ADIT vs McKINSEY and Co. Inc
[LexDoc Id : 376985]
|
ITAT (Mumbai) |
2008 |
UOI vs Classic Credit Ltd.
Maintainability of writ petition-Existence of alternative remedy-The High Court held that the writ petition against an order of pre-deposit under s.35 of the FERA Act 1973 was maintainable. The condition precedent f [LexDoc Id : 353935]
|
HC (Delhi) |
2008 |
Pooja Bhatt vs DCIT
Income of artists from shows abroad-Place of taxation-AY 1994-95. The assessee was resident of India. The assessee was a film actress. She participated in a show in Canada and received certain remuneratio [LexDoc Id : 350194]
|
ITAT (Mumbai) |
2008 |
UOI vs Classis Credit Ltd., Panther Fincap and Management Service Ltd. and Kartik K. Parek
[LexDoc Id : 349725]
|
HC (Delhi) |
2008 |
Sri Lakshmi Prasanna Agencies vs Dy. CC
[LexDoc Id : 362699]
|
HC (Madras) |
2008 |
Golf in Dubai, L.L.C. vs DIT
Golf in Dubai, L.L.C, In re
Income accruing in India-Income from sport event organized in India-The applicant was a UAE company. It organized two golf tournaments in India after entering into a formal venue agreement with Delhi Golf Club(DGC). Th [LexDoc Id : 348159]
|
AAR |
2008 |
LMN India Ltd. vs CIT
Interest income of non-resident-Interest on convertible Bonds-The applicant was a non-banking financial company incorporated in India. It was making investment of shares and stocks in India and abroad. It propose [LexDoc Id : 348918]
|
AAR |
2008 |
Anurag Jain vs Authority for Advance Rulings and Anr.
Advance ruling-Binding nature of: Advance Ruling-The assessee had voluntarily sought Advancing Ruling from the authority. The assessee was bound by the ruling given by AAR unless either due procedure [LexDoc Id : 355891]
|
HC (Chennai) |
2008 |
B.J. Services Co. Middle East Ltd. vs ACIT
Non-residents income-Interest income vs business income, Interest on income-tax refund- AY 2002-2003. The assessee was incorporated in UK. It had a PE in India. It’s PE received interest on income-tax refund. The refund was connected wit [LexDoc Id : 353845]
|
ITAT (Delhi) |
2008 |
|
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