First | Prev | 1 | 2 | 3 | 4 | 5 | 6 | Next | Last |
Documents Found: 131 |
Title |
Forum |
Year |
American Hotel and Lodging Association Educational vs Central Board of Direct Taxes and Ors.
Exemption: Educational institution-Scope of Enquiry by Prescribed Authority, Application of income in India-The primary conditions for claiming exemption under s.10(23C)(vi) are:
(a) existence of educational institution, and
(b)approval by pres [LexDoc Id : 340084]
|
SC |
2008 |
Foster's Australia Ltd. vs CIT
Sale of: Goods-Transfer of: Brewing Manual-The applicant had also transfered its brewing manual to Foster India. The manual was in the nature of goods. Since sale took place in Australia no inc [LexDoc Id : 340077]
|
AAR |
2008 |
V.P. Thamaraiselvi vs Indian Bank and Ors.
Pecuniary Jurisdiction of tribunal-Decretal amount -A writ petition filed to declare the tribunal’s order directing the recovery of the decretal amount of more than Rs.10 lakhs as invalid and without ju [LexDoc Id : 342265]
|
HC (Chennai) |
2008 |
R and B Falcon (A) Pty Ltd. vs CIT
Fringe Benefit Tax-Subsidised transport to employees, Transportation facilities for bringing employees from abroad to India-I. The amenity in the nature of free or subsidized transport is liable to Fringe Benefit Tax since it is covered under s.115WB(1). The Fringe benefit [LexDoc Id : 338939]
|
SC |
2008 |
Daud A. Dawood vs Director, ED
[LexDoc Id : 357275]
|
ATFE (Delhi) |
2008 |
KnoWerX Education India (P) Ltd. vs DIT
[LexDoc Id : 338956]
|
AAR |
2008 |
Worley Parsons Services (P) Ltd. vs DIT
Income deemed to accrue or arise in India-Royalty vis-a-vis Business income, Professional servises as monitoring consultant-Ay 2004-05. The applicant an Australian company enterned into a contract with Gas Authority of India Limited (GAIL) to surprise a project of GAIL as m [LexDoc Id : 338899]
|
AAR |
2008 |
Kern-Liebers International GmbH vs DIT
Computation of: capital gains-Cost of bonus shares: Bonus shares acquired before 1 April 1981-The assessee was non-resident company. The assessee was holding shares of a company since 1964. It also received certain bonus shares before 1 April 1 [LexDoc Id : 338844]
|
AAR |
2008 |
DCIT vs Preeti Vyas
Deduction: Professional income from foreign concern: Artist-Remuneration for advertising and marketing products-AY 1999-2000 and AY 2000-01. The assessee was a commercial artist and designer. He received remuneration from a foreign company for providing advertis [LexDoc Id : 364873]
|
ITAT (Mumbai) |
2008 |
Fabula Trading Co. (P) Ltd. vs ITO
Tax avoidance: Transactions with non-resident-Transactions at arms length price-AY 2001-02. The assessee imported and then exported goods mainly to sister concerns or to companies with which it had close connections. There was no [LexDoc Id : 363967]
|
ITAT (Mumbai) |
2008 |
Picker India Ltd. vs DCIT
Transactions between associate concerns-Arms length price-AY 1996-97. The assessee had purchased goods from its non-resident associate at certain price and sold these at GP margin of 9.97 percent. In absence [LexDoc Id : 342798]
|
ITAT (Delhi) |
2008 |
Picker India Ltd., Mohan Cooperative Indl Estate Ltd. vs DCIT
Transfer pricing: Income from international transactions-Determination of arm’s length price-AY 1998-99. The assessee was an Indian company. It entered in to a Joint Venture with Picker International of USA and Network Limited an Indian compan [LexDoc Id : 339358]
|
ITAT (Delhi) |
2008 |
Development Consultants (P) Ltd. vs DCIT
Transfer pricing Arms length price-Computation of Arms length price-AY 2003-04 and AY 2004-05. The assessee had entered into international transactions with 3 associate enterprises viz. Development Consultant Internati [LexDoc Id : 338168]
|
ITAT (Calcutta) |
2008 |
Gurcharan Singh vs Directorate of Revenue Intelligence
Customs- Illegal claim of duty drawback-Offence-If any person knowingly committed a fraudulent evasion or attempt at evasion of any duty chargeable thereon, he would be punishable under s.135(1)(a) [LexDoc Id : 336964]
|
SC |
2008 |
KLM Royal Dutch Airlines vs DCIT
[LexDoc Id : 348464]
|
ITAT (Delhi) |
2008 |
Kanwar Natwar Singh vs ED and Anr.
[LexDoc Id : 342331]
|
HC (Delhi) |
2008 |
Hughes Network Systems India Ltd. vs DCIT
[LexDoc Id : 343456]
|
ITAT (Delhi) |
2008 |
V. Ravi Narayanan vs CIT
Rate of Tax: Non-Resident Ordinary resident account-‘Foreign exchange Asset’, Income from NRO deposits-The assessee was a non-resident. He made deposits in NRO Account with a bank in convertible foreign exchange. The deposit made was a ‘foreign exchange [LexDoc Id : 335633]
|
AAR |
2008 |
Airports Authority of India, In re
Maintainability of application for Advance Ruling-Determination of rate of TDS-The application by Indian assessee on the rate of TDS applicable on payments to non-resident was maintainable.
S.245N(b)(a)(ii) of the Inco [LexDoc Id : 336986]
|
AAR |
2008 |
Adani Exports Ltd. vs Directorate of Enforcement
[LexDoc Id : 365340]
|
ATFE (Delhi) |
2008 |
Cargill India (P) Ltd. vs DCIT
Transfer pricing: Arm's length price-Procedure for TPO-AY 2003-04. S.92CA(2) required the assessee to produce evidence in support of the computation of Arm's length price made by it. In case the complete i [LexDoc Id : 334186]
|
ITAT (Delhi) |
2008 |
Mitsui and Co. Ltd. vs ACIT (International Taxation)
[LexDoc Id : 339374]
|
ITAT (Delhi) |
2008 |
Millennium Infocom Technologies Ltd. vs ACIT
TDS on payment to Non- Resident-Payment for hosting websites-AY 2001-02. The assessee was in the business of setting up websites for the purpose of E-commerce. It took servers on base for hosting website from no [LexDoc Id : 338458]
|
ITAT (Delhi) |
2008 |
Ranbaxy Laboratories Ltd. vs Addl. CIT
Revision by CIT-Non-application of mind by AO-The AO had accepted the arm’s length price without taking into consideration that
(a)The audit report filed by assessee did not give details of [LexDoc Id : 333781]
|
ITAT (Delhi) |
2008 |
Ranbaxy Laboratories Ltd vs Addl. CIT
Erroneous order of AO-Lack of proper enquiry and non application of relevant law-AY 2004-05. The question involved was that Transfer Pricing and arm's length price. The assessee had several international transactions with associate [LexDoc Id : 333654]
|
ITAT (Delhi) |
2008 |
|
First | Prev | 1 | 2 | 3 | 4 | 5 | 6 | Next | Last |
|