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Documents Found: 263 |
Title |
Forum |
Year |
Anil Bhansali vs ITO
Disclosure of Source of Income: Taxability of ‘Resident but not ordinarily Resident’-Provisions of Section 5(1)(c ) and of the Income Tax Act, 1961 and Section 9(1)(ii) of the Income Act,1961: Taxability of amount received from stock amounts/SOTP-CIT (A) confirmed the addition made by AO towards Stock Awards/ SOTP as it was more than the value of perquisite declared by the assessee had escaped [LexDoc Id : 477193]
|
ITAT (Hyderabad) |
2015 |
Mylan Laboratories Ltd. vs ACIT
[LexDoc Id : 477053]
|
ITAT (Hyderabad) |
2015 |
ITO vs Prana Studios (P) Ltd.
[LexDoc Id : 476888]
|
ITAT (Mumbai) |
2015 |
Maersk Global Service Centres India (P) Ltd. vs DCIT
DCIT vs Maersk Global Service Centres India (P) Ltd.
Determination of Armed Length Pricing-Inclusion and Exclusion of Comparables-TPO rejected all the thirteen comparables selected by the Assessee on the ground that they were not engaged into KPO kind of activities or did not ful [LexDoc Id : 476880]
|
ITAT (Mumbai) |
2015 |
ACIT vs Gillette India Ltd.
Gillette India Ltd. vs ACIT
Initiation of Penalty Proceedings: Non-Filing of Documents -Section 271G of the Income Tax Act 1961: Deletion of Penalty -AO initiated penalty proceedings on the ground that copy of T.P. documents were not filed and the same was filed on a late date. Whether, CIT(A) erred [LexDoc Id : 476871]
|
ITAT (Jaipur) |
2015 |
Astrix Laboratories Ltd. vs ACIT
Determination of ALP: International Transaction-Section 263 of the Income Tax Act 1961: Initiation of Proceedings for Assessment-Assessee was engaged in the business of manufacture and sale of active pharmaceutical ingredients and its intermediates. AO noticed that Assessee had [LexDoc Id : 476798]
|
ITAT (Hyderabad) |
2015 |
ACIT vs Gharda Chemicals Ltd.
Gharda Chemicals Ltd. vs JCIT
Eligibility for deduction: Set off on forwarded loss and depreciation-Section 80HHC of the Income Tax Act 1961; Section 115JB of the Income Tax Act 1961: Deletion of Addition on doubtful debts-Assessee-company, engaged in the business of manufacturer of agro chemicals and polymer, filed its return of income under the regular provisions of th [LexDoc Id : 476794]
|
ITAT (Mumbai) |
2015 |
Xerox Modi Corp Ltd. and Bhupendra Kumar Modi vs Enforcement Directorate
[LexDoc Id : 477812]
|
HC (Delhi) |
2015 |
Goldstar Jewellery Ltd. vs JCIT
Extension of Credit period to Associated Enterprises-Section 92B (1) of the Income Tax Act, 1961. Determination of Arm Length Price(ALP)-Assessee, reported international transaction in its Transfer Pricing(TP) report regarding sale to its Associated Enterprises(AE). The TPO accepted the [LexDoc Id : 478737]
|
ITAT (Mumbai) |
2015 |
Hapag Lloyd India (P) Ltd. vs DCIT
Computation of Armed Length Pricing: Comparable Uncontrolled Price-Determination of Price for Services: Internal CUP for Determination of ALP-DRP confirmed TPO’s proposed the adjustment on ALP by applying CUP as most appropriate method on the ground that before the appointment of assessee as [LexDoc Id : 476318]
|
ITAT (Mumbai) |
2015 |
H.R. Siddique vs Enforcement Directorate
Retraction of confessional statement containing admission of wrong-doings after more than ten years-Confessional statement duly corroborated by independent evidence-The appellate tribunal had dismissed the appellant's appeal and sustained penalty imposed upon him under s.50 of the Foreign Exchange Regulation Act 1 [LexDoc Id : 476261]
|
HC (Delhi) |
2015 |
International Specialty Products India (P) Ltd. vs ITO
Inclusion and Rejection of Comparables: International Transaction-Determination of Armed Length Pricing for Research and Development Services-Whether, TPO erred in rejecting two out of the seven comparables selected by Assessee for determination of the Armed Length Pricing for Research and D [LexDoc Id : 476306]
|
ITAT (Hyderabad) |
2015 |
NTT DATA India Enterprise Application Services (P) Ltd. vs ACIT
Selection of Companies as comparables -Determination of ALP under Transaction Net Marginal Method (TNMM)-Assessee was started as off-shore development centre wholly under the Intelli group USA and reported these services at Rs.102.74 crores out of total r [LexDoc Id : 476234]
|
ITAT (Hyderabad) |
2015 |
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