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Documents Found: 195 |
Title |
Forum |
Year |
DCIT vs Teva India (P) Ltd.
[LexDoc Id : 405943]
|
ITAT (Mumbai) |
2010 |
Adani Enterprises Ltd., In re
Scheme of arrangement in the nature of amalgamation-Scheme in the interest of shareholders and creditors-The petitioner-transferee company sought for sanction of the scheme of arrangement in the nature of amalgamation of seven transferor companies with it [LexDoc Id : 397345]
|
HC (Gujarat) |
2010 |
Kotak Mahindra Bank Ltd. vs J.B. Diamonds Ltd.
Winding up: Inability to pay debts-Transactions in derivatives-The petitioner had granted various facilities to the respondent to enable the respondent to hedge foreign currency exposure. Pursuant to such faciliti [LexDoc Id : 393515]
|
HC (Bombay) |
2010 |
Joint Accreditation System of Australia and New Zealand vs DIT
Income deemed to accrue in India-Non-profit foreign entity, Fee received for certification-The applicant a non-profit foreign organization was providing certificate of accredit ion to conformity assessment bodies. The payment received by it [LexDoc Id : 392629]
|
AAR |
2010 |
GeoQuest Systems B.V. vs DIT
Royalty-Sale of special purpose software-The non-resident assessee supplied special purpose software to Indian customer by air. The software was not made to suit special needs of customers. T [LexDoc Id : 392628]
|
AAR |
2010 |
Bharati AXA General Insurance Co. Ltd. vs DIT
Bharati AXA General Insurance Co. Ltd., In re
Royalty-Access to server hardware system and access to software applications-The payment made for access to software applications and to server hardware system hosted abroad was payment as "royalty".
Art. 12(3) of DTAA wit [LexDoc Id : 392627]
|
AAR |
2010 |
CIT and ACIT vs Synopsis International Old Ltd.
[LexDoc Id : 428654]
|
HC (Karnataka) |
2010 |
3i Infotech Ltd. vs DCIT
[LexDoc Id : 405473]
|
ITAT (Mumbai) |
2010 |
Glaxosmithkline Inc. vs Her Majesty the Queen, Toronto, Ontario
[LexDoc Id : 399316]
|
|
2010 |
Mahesh Kantilal Zaveri vs UOI and Ors.
[LexDoc Id : 391797]
|
HC (Delhi) |
2010 |
Arthur Anderson and Co. vs Addl. CIT
[LexDoc Id : 392385]
|
ITAT (Mumbai) |
2010 |
Timken Co. vs DIT
Timken Co., In re
MAT-MAT on foreign company-The MAT was not leviable on a foreign company which had no P.E. in India.
S.115JB of the Income Tax Act 1961 [LexDoc Id : 391748]
|
AAR |
2010 |
Seabird Exploration FZ, LLC, UAE vs DIT
Seabird Exploration FZ, LLC, UAE, In re
Taxation of non-resident-Special provisions-Income from exploration etc of mineral oil, Bare boat charter-The applicant was a company of UAE. It was requiring Seismic Survey Vessels for its business of services for exploration etc. of mineral oils. It acqu [LexDoc Id : 391747]
|
AAR |
2010 |
Praxair Pacific Ltd. vs DIT
Transfer Pricing-No liability to pay capital gains-Since capital gains made were not taxable in India, provisions of S.93 to s.92F were not applicable.
[LexDoc Id : 391745]
|
AAR |
2010 |
Addl. CIT vs 3M India Ltd.
[LexDoc Id : 411394]
|
ITAT (Bangalore) |
2010 |
Linklaters LLP vs ITO
[LexDoc Id : 393236]
|
ITAT (Mumbai) |
2010 |
Flextronics Design Consumer Electronics India (P) Ltd., In re
[LexDoc Id : 396318]
|
HC (Karnataka) |
2010 |
ACIT vs Wockhardt Ltd.
[LexDoc Id : 392967]
|
ITAT (Mumbai) |
2010 |
Wockhardt Ltd. vs ACIT
[LexDoc Id : 407568]
|
ITAT (Mumbai) |
2010 |
Maruti Suzuki India Ltd. vs Addl. CIT and Transfer Pricing Officer
Transfer Pricing: Arm's Length Price-[ALP]-Payment to A.E. for: use of brand/logo, Advertisement expenditure-AY 2005-2006. The petition was an Indian company viz: "Maruti". It was manufacturing and selling cars. Suzuki of Japan was an Associated Enterprise [A [LexDoc Id : 390288]
|
HC (Delhi) |
2010 |
Arts and Crafts Exports vs ITO
Export of : wooden handicraft-Finishing unfinished articles-A.Y.2003-2004, 2004-2005. The assesee purchased unfinished wooden articles and exported these after finishing carrying out artistic value processes li [LexDoc Id : 408093]
|
ITAT (Mumbai) |
2010 |
ACIT vs Louis Berger International Inc.
Income deemed to accrue in India-Reimbursement of expenses-AY 1998-1999 to 2003-2004. The assessee was a company of USA. It rendered consultancy services to NHAI for construction of road. NHAI reimbursed certa [LexDoc Id : 391875]
|
ITAT (Hyderabad) |
2010 |
American Hotel and Lodging Educational Institute vs CBDT, DIT, ADIT and UOI
Exemption- Foreign educational institution-Condition for approval, Validity of Proviso III to S.10(23C)(vi)-AY 1999-2000 to 2006-2007. The assessee was a foreign educational institution of USA. The CIT could put the condition of spending 75% of its income in [LexDoc Id : 391399]
|
HC (Bombay) |
2010 |
Dominent Financial Services (P) Ltd. vs UOI
[LexDoc Id : 395849]
|
HC (Bombay) |
2010 |
ITO vs Asiatic Colour Chem Ltd.
[LexDoc Id : 415248]
|
ITAT (Ahmedabad) |
2010 |
|
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