First | Prev | 1 | 2 | 3 | 4 | 5 | 6 | 7 | 8 | 9 | 10 | Next | Last |
Documents Found: 274 |
Title |
Forum |
Year |
UOI vs TATA Chemicals Ltd.
International Taxation vs Reliance Infocom Ltd and Set Satellite Pte Ltd.
Interest on refund of tax-Refund to deductor, Refund to deductor - Computation of interest-A.Y. 1997-1998. The assessee was to make certain payments to a foreign co. for the services of two of its experts. Under s.195(2), the AO directed wit [LexDoc Id : 462168]
|
SC |
2014 |
Nortel Networks India (P) Ltd. vs Addl. CIT
[LexDoc Id : 469773]
|
ITAT (Delhi) |
2014 |
Sony India (P) Ltd. and Sony Mobile Communications India (P) Ltd. vs Addl. CIT and Anr.
Validity of: Garnishee order (S.226(3))-Issuing notice on the very day of rejection of stay-A.Y. 2009-2010. The stay application moved under s.220(3) was rejected by AO. On the same very day the AO issued garnishee notice under s.226(3). It i [LexDoc Id : 460304]
|
HC (Delhi) |
2014 |
Quintiles Research India (P) Ltd. vs DCIT
[LexDoc Id : 465677]
|
ITAT (Bangalore) |
2014 |
Lummus Technology Heat Transfer BV vs DCIT
[LexDoc Id : 463655]
|
ITAT (Delhi) |
2014 |
DCIT vs Panasonic AVC Networks India Co Ltd.
[LexDoc Id : 463419]
|
ITAT (Delhi) |
2014 |
BBC World News Ltd. vs ADIT
Validity of re-asstt.-Income attributable to PE in India-A.Y. 2003-2004. In original assessment the income attributable to PE was determined by AO on perusal of details filed by assessee at 20%. Notice under [LexDoc Id : 461681]
|
HC (Delhi) |
2014 |
Tilda Riceland (P) Ltd. vs ACIT
[LexDoc Id : 460526]
|
ITAT (Delhi) |
2014 |
AT and T Communication Services India (P) Ltd. vs CIT and Anr.
Orders for special Audit-Duty of CIT-The CIT while approving special Audit need not record detailed reasons yet it cannot be mechanical. The reasons given by AO and objections of the asse [LexDoc Id : 459947]
|
HC (Delhi) |
2014 |
Hyundai Motors India Engg. (P) Ltd. vs ITO
[LexDoc Id : 459858]
|
ITAT (Hyderabad) |
2014 |
Smita Anand, In re
Residential status-Indian Citizen returning after overseas employment-A.Y. 2011-2012. The applicant is an Indian citizen.
He left India on 22.9.2007 for employment abroad and returned on 12.2.2011, after resigni [LexDoc Id : 459960]
|
AAR |
2014 |
Endemol India (P) Ltd., In re (No. 4)
FTS v. Work - contract-Line-production Services for film-shooting-The applicant, an Indian co. was in the business of producing and distributing TV Programmes. It engaged 'ULB' a co. of Brazil to provide line-product [LexDoc Id : 459463]
|
AAR |
2014 |
Arvind Singh Chauhan vs ITO
[LexDoc Id : 463004]
|
ITAT (Agra) |
2014 |
LS Cable and Systems Ltd., In re
Jurisdiction of AAR-Pending question-A.Y. 2011-2012. The assessee had filed Return of income before filing application before AAR. No notice under s.143(2) was issued. The question raised [LexDoc Id : 459938]
|
AAR |
2014 |
Booz and Co. Australia (P) Ltd. and Ors., In Re
PE-Business Connection-Deputing technical personnel-The applicants were part of a Group of foreign Cos. They would depute their technical and professional employees to the group co. in India for executi [LexDoc Id : 459746]
|
AAR |
2014 |
LS Cable and System Ltd., In re
Maintainability of Application before AAR-Pendency of proceedings before A.O.-The return was filed before filing of application before AAR. No notice u/s 143(2) was issued till that date. The notice u/s 143(2) was issued after a [LexDoc Id : 459294]
|
AAR |
2014 |
LS Cable and System Ltd., In re
Maintainability of Application before AAR-Pendency of proceedings before A.O.-The return was filed before filing of application before AAR. No notice u/s 143(2) was issued till that date. The notice u/s 143(2) was issued after a [LexDoc Id : 459293]
|
AAR |
2014 |
DCIT vs Air Liquid Engg. India (P) Ltd.
[LexDoc Id : 463218]
|
ITAT (Hyderabad) |
2014 |
DCIT vs Air Liquide Engineering India (P) Ltd.
[LexDoc Id : 463084]
|
ITAT (Mumbai) |
2014 |
CNO IT Services India (P) Ltd. @ Conseco Data Services India (P) Ltd. vs DCIT
[LexDoc Id : 459425]
|
ITAT (Hyderabad) |
2014 |
Anand Transport (P) Ltd. vs ACIT
[LexDoc Id : 474805]
|
HC (Chennai) |
2014 |
DIT vs E-Funds IT Solution
[LexDoc Id : 466069]
|
HC (Delhi) |
2014 |
Market Tools Research (P) Ltd. DCIT
Arms Length Price - ALP-Rates of depreciation-The rates of depreciation adopted by assessee were substantially different from those adopted by comparable companies. A suitable adjustment for diffe [LexDoc Id : 463206]
|
ITAT (Hyderabad) |
2014 |
CIT vs eFunds IT Solution and Ors.
DIT vs eFunds Corpn. and Ors.
Validity of: Re-asst proceedings-Change of opinion vis-a-vis not filing return-A.Y. 2000-01 to 2006-07.
No return was filed and no asst u/s 143(3) made. No question of change of opinion would arise.
The MAP procedure fo [LexDoc Id : 459292]
|
HC (Delhi) |
2014 |
DCIT vs Gupta Overseas
[LexDoc Id : 459168]
|
ITAT (Agra) |
2014 |
|
First | Prev | 1 | 2 | 3 | 4 | 5 | 6 | 7 | 8 | 9 | 10 | Next | Last |
|