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Documents Found: 195 |
Title |
Forum |
Year |
DCIT vs Tata Sons Ltd.
Business expenditure-Foreign income-tax-The income-tax paid abroad was not deductible as business expenditure.
S. 37(1) of the Income Tax Act 1961
Art.25 of DTAA with USA.
[LexDoc Id : 398893]
|
ITAT (Mumbai) |
2010 |
State of Maharashtra vs Amalio Simoes
[LexDoc Id : 398949]
|
HC (Bombay) |
2010 |
DHL Express India (P) Ltd. vs Addl. CIT
[LexDoc Id : 400698]
|
ITAT (Mumbai) |
2010 |
ACIT vs Audco India Ltd.
Arm’s length price ( ALP)-Margin of 5%-Ay-2002-2003. The TPO only took instances of sales to AE which were at lower price, and ignored the sales at higher price. This was not correct.
[LexDoc Id : 416819]
|
ITAT (Mumbai) |
2010 |
Abhishek Auto Industries Ltd. vs DCIT
[LexDoc Id : 407951]
|
ITAT (Delhi) |
2010 |
Linmark International (Hong Kong), Ltd. vs DDIT
[LexDoc Id : 407139]
|
ITAT (Delhi) |
2010 |
Lubrizol Corpn. USA vs DIT
[LexDoc Id : 400701]
|
ITAT (Mumbai) |
2010 |
PILCOM vs CIT
TDS- Payments to: Non-resident sports associations-Payments to: Non-resident cricket association-AY 1995-1996. The assessee was a Committee formed by 3 countries hosting World Cup, 1996. It made payments to- ICC, CCBs and Cricket associations of m [LexDoc Id : 400438]
|
HC (Calcutta) |
2010 |
Besix Kier Dabhol, SA vs DDIT
[LexDoc Id : 400923]
|
ITAT (Mumbai) |
2010 |
Sri Renuga Soft-X Towels vs ED
Non-realisation of outstanding export proceeds within stipulated time: Object of FERA-Letter correspondence between appellant and its foreign buyers not sufficient enough to prove reasonableness of appellant to secure foreign proceeds within purview of FERA-The object of the Foreign Exchange Regulation Act 1973 was to see that the country’s foreign exchange resources were not wasted under any circumstance [LexDoc Id : 399579]
|
HC (Chennai) |
2010 |
DDIT vs Hongkong and Shanghai Banking Corpn. Ltd.
[LexDoc Id : 415835]
|
ITAT (Mumbai) |
2010 |
ACIT vs Dharti Estate
[LexDoc Id : 405883]
|
ITAT (Mumbai) |
2010 |
Cray Research India Ltd. vs JCIT
[LexDoc Id : 405872]
|
ITAT (Delhi) |
2010 |
Vesil SPA Italy vs JCIT
Fees for Technical Services vis-a-vis Purchase of know-how-Outright sale of know-how-AY 1991-1992. The assessee was manufacturing eye-lenses. It purchase know-how from an Italian company for manufacture of lenses in India. The assessee [LexDoc Id : 402475]
|
ITAT (Hyderabad) |
2010 |
State of Maharashtra and Anr. vs Sachin S. Hundekari
[LexDoc Id : 397430]
|
HC (Bombay) |
2010 |
ACIT vs Golawala Diamonds
Arm's length price(ALP)- Export of diamonds-Transaction Net Margin Method (TNMM)- Application of method-The TNM method requires comparison of net profit margins realized from an associated enterprise and not comparison of operating margins of enterprise [LexDoc Id : 409207]
|
ITAT (Mumbai) |
2010 |
ITO vs MSC Agency India (P) Ltd.
[LexDoc Id : 412230]
|
ITAT (Chennai) |
2010 |
Gracemac Corpn. and Microsoft Corpn. vs ADIT
Income deemed to accrue in India-Royalty v. outright purchase of right to use asset-AY 1996-1997, 1999-2000 to 2004-2005. 'MS' a "company of USA" had developed certain software programmes. It granted exclusive rights to its 100% subsi [LexDoc Id : 397691]
|
ITAT (Delhi) |
2010 |
Coca Cola India vs Addl. CIT
Writ and Transfer Pricing-Computation of ALP and Foundational facts-AY 2002-2003 to 2006-2007. The HC had upheld the re-opening of asstt on the basis of TPO’s report. The foundational facts were not established. This c [LexDoc Id : 398422]
|
SC |
2010 |
Gemplus India (P) Ltd. vs ACIT
[LexDoc Id : 407542]
|
ITAT (Bangalore) |
2010 |
UOI vs Jatin C. Jhaveri, Jitendra K. Dodia and Ajit K. Dodia
Jatin C. Jhaveri vs UOI, DDED and Joint Commissioner of Customs
Customs Act 1962 vis-à-vis Foreign Exchange Regulation Act 1973: Proceedings under Acts deferred-Customs Act 1962 cognate law, Findings recorded under Customs Act 1962 not binding on proceedings under FERA but having evidentiary value-The proceedings under the Customs Act 1962, though deferred from the proceedings under the Foreign Exchange Regulation Act 1973, the adjudication unde [LexDoc Id : 396868]
|
HC (Bombay) |
2010 |
JCIT vs Gebbs Infotech Ltd.
[LexDoc Id : 398626]
|
ITAT (Mumbai) |
2010 |
Hasmukh K. Rawal, Mandlia Developers (P) Ltd. and Pushpa H Rawal vs UOI, Appellate Tribunal for Foreign Exchange and ED
Appeal to the High Court-Territorial jurisdiction of the high court-The second appellant was a company having its registered office in Bangalore. Two of its directors entered into an agreement with an NRI for sale of f [LexDoc Id : 396450]
|
HC (Bombay) |
2010 |
Logix Micro Systems Ltd. vs ACIT
Computation of ALP-Interest on amounts parked with A.E.-An amount of Rs. 5.5L Crores of the assessee was outstanding with AE in USA for more than 6 months. Not charging of interest from AE affected its prof [LexDoc Id : 402046]
|
ITAT (Bangalore) |
2010 |
Siemens Building Technologies (P) Ltd. vs ITO
[LexDoc Id : 439708]
|
ITAT (Mumbai) |
2010 |
|
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