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Documents Found: 294 |
Title |
Forum |
Year |
Continental Carbon India Ltd. vs ITO
ITO vs Continental Carbon India Ltd.
[LexDoc Id : 423963]
|
ITAT (Delhi) |
2011 |
Vijay Productions (P) Ltd. vs Addl. CIT
[LexDoc Id : 425719]
|
ITAT (Chennai) |
2011 |
I.T.D. Cementation India Ltd. vs Addl. CIT
Addl. CIT vs I.T.D. Cementation India Ltd.
[LexDoc Id : 421826]
|
ITAT (Mumbai) |
2011 |
Lionbridge Technologies (P) Ltd. vs DCIT and Ors.
Maintainability of Writ - Arms length price-Existence of: alternate remedy-The A.O. made the asst. following the determination of ALP by DRP (Dispute Resolution Panel.) An alternate remedy by way of appeal was available. Writ [LexDoc Id : 453397]
|
HC (Bombay) |
2011 |
ITO vs PPN Power Generating Co. (P) Ltd.
Penalty - Non maintenance of documents-Duty of A.O. / T.P.O Deemed compliance-Ay- 2003-04. It is the duty of the A.O. / T.P.O to point out specifically the failure to the assessee before levying penalty.
The A.O. formed a [LexDoc Id : 424959]
|
ITAT (Chennai) |
2011 |
Arviva Industries Ltd. vs ACIT
Determination of: ALP-Adjustment of: Domestic sale price- vis-à-vis export sale price-The assessee manufactured and sold fabric. He sold the fabrics at 1.515 dollars per mater in domestic market. The same fabric was exported at 1.16 dol [LexDoc Id : 421539]
|
ITAT (Mumbai) |
2011 |
Veer Gems vs ACIT
Powers of TPO-Validity of: Reference by A.O.-The TPO had no authority or power to consider the validity of reference made by A.O.
S. 92 CA of the Income Tax Act 1961 [LexDoc Id : 423288]
|
HC (Gujarat) |
2011 |
CIT vs Wipro Ltd.
Royalty - Payment for Data-base-Web-based foreign publishing house-A.Y. 2001-02, 03-04.
The payment paid as subscription for data-base to foreign Web–based publishing house was royalty. TDS was to be made S. 9(1) [LexDoc Id : 423039]
|
HC (Karnataka) |
2011 |
CIT vs Samsung Electronics Co. Ltd.
Income deemed to accrue in India-Royalty, Supply of shrink wrapped software, Licence to use shrink wrapped software, Licencence to use off the shelf software-The non-resident allowed the Indian company to use it’s software for it’s internal business without any right to make any alteration or creating a sub [LexDoc Id : 422277]
|
HC (Karnataka) |
2011 |
Upaid Systems Ltd. vs DIT
Upaid Systems Ltd., In re
Income accruing in India-Interest on: Escrow account-The interest on deposit in Escrow account was income arising in India
Ss.4 and 5(2) of the Income Tax Act 1961 [LexDoc Id : 419027]
|
AAR |
2011 |
Minar Exports vs Enforcement Committee and Ors.
[LexDoc Id : 418478]
|
HC (Bombay) |
2011 |
DCIT vs Leroy Somer and Controls India (P) Ltd.
[LexDoc Id : 423626]
|
ITAT (Delhi) |
2011 |
Huntsman Advanced Materials India (P) Ltd. vs DCIT
ALP-Computation of-Adjustment for ALP- Scope of-Ay-2006-2007
1. The adjustment for ALP was to be made only in respect of deals with A. Es and not with entire turnover.
2. The Benefits of stand [LexDoc Id : 423184]
|
ITAT (Mumbai) |
2011 |
DCIT vs First Rain Software Centre (P) Ltd.
Alp: Computation of-Margin of tolerance __+5 %, Software development-Ay-2003-2004. The assessee was providing software development services. The profit margin shown was without margin of tolerance of _+5% no adjustment [LexDoc Id : 423089]
|
ITAT (Delhi) |
2011 |
Li and Fung India (P) Ltd. vs DCIT
[LexDoc Id : 422425]
|
ITAT (Delhi) |
2011 |
Nimbus Sport International Pte. Ltd. vs DDIT and DCIT
[LexDoc Id : 422379]
|
ITAT (Delhi) |
2011 |
DIT vs BBC Worldwide Ltd.
[LexDoc Id : 422279]
|
HC (Delhi) |
2011 |
ITO vs Saptarshi Ghosh
Special allowance-Living Allowance to employees deputed abroad -Ay-2006-2007. The assessee was employee of an India company. He was deputed to USA. He was paid salary and other benefits in India. He was paid living [LexDoc Id : 421550]
|
ITAT (Calcutta) |
2011 |
ACIT vs BSES Ltd.
Reliance Infrastructure Ltd. vs ACIT
[LexDoc Id : 418259]
|
ITAT (Mumbai) |
2011 |
UOI vs Hassan Ali Khan and Anr.
Offence of money laundering: Grant of bail to accused-Allegations that monies recovered were proceeds of crime and tainted, Burden to rebut allegations on accused, Bail cancelled on apprehension of accused absconding-During a search in the premises owned and/or possessed by the respondent, certain documents containing several transfer instructions said to have been [LexDoc Id : 417473]
|
SC |
2011 |
Millennium IT Software Ltd., In re
‘Royalty’ – sale v. use of copyrighted software-Software licensing & Maintenance agreement-The applicant entered into software licensing & maintenance agreement with an Indian company, ICEL. The ICEL was allowed to use it’s software product, [LexDoc Id : 417670]
|
AAR |
2011 |
Tally Solutions (P) Ltd. vs DCIT
Computation of ALP-Sale of IPRs to A.E EEM vis-à-vis- CUP Method-The assessee was in business of software development and sale of Financial Accounting & Management software. It sold patents copyrights toade marks an [LexDoc Id : 417509]
|
ITAT (Bangalore) |
2011 |
ITO vs Kawin Interactive (P) Ltd.
[LexDoc Id : 422292]
|
ITAT (Ahmedabad) |
2011 |
Brentfield Travels Co. (P) Ltd. vs RBI and Anr.
FEMA 1999: Power to compound contravention-No absolute right to claim a compounding of contraventions, Powers of competent authority-There was no absolute right to claim a compounding of contraventions. It was for the competent authority to decide as to whether the contravention was [LexDoc Id : 417572]
|
HC (Bombay) |
2011 |
DCIT vs BP India Services (P) Ltd.
BP India Services (P) Ltd. vs DCIT
Selection of: Comparables-Tests for selection of comparables-Ay-2004-2005. The tests for including / excluding from the comparables for ALP were:
- Specific nature of services provided
- [LexDoc Id : 417220]
|
ITAT (Mumbai) |
2011 |
|
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