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Documents Found: 263 |
Title |
Forum |
Year |
ITO vs Taurus Shipping Services
Taxability in case of international voyage-Article 8 of India-Singapore Double Taxation Avoidance Agreement. Entitlement to benefit of DTAA-The AO has made the addition in the income of assessee on the ground that ship voyages between two Indian ports, on part of its international voyage t [LexDoc Id : 483478]
|
ITAT (Rajkot) |
2015 |
Sulzer Pumps India Ltd. vs JCIT
[LexDoc Id : 483477]
|
ITAT (Mumbai) |
2015 |
Silver Software (P) Ltd. vs DCIT
Taxability of income earned from letting out of commercial spaces, amenities and maintenance-Income from business -The assessee was engaged in the business of software development, testing and renting of property and declared the income earned from letting out of c [LexDoc Id : 483476]
|
ITAT (Bangalore) |
2015 |
Saba Software India (P) Ltd. vs ITO
[LexDoc Id : 483475]
|
ITAT (Mumbai) |
2015 |
Lionbridge Technologies (P) Ltd. vs DCIT
DCIT vs Lionbridge Technologies (P) Ltd.
[LexDoc Id : 483474]
|
ITAT (Mumbai) |
2015 |
Cambridge Technology Enterprises Ltd. vs ACIT
[LexDoc Id : 483392]
|
ITAT (Hyderabad) |
2015 |
Bobst India (P) Ltd. vs DCIT
[LexDoc Id : 483390]
|
ITAT (Pune) |
2015 |
DCIT vs Motech Software (P) Ltd.
Disallowance of expenses incurred at foreign branches-Section 40(a)(i) of the Income Tax Act, 1961. Tax deduction at source (TDS)-Assessee was engaged in the business of software development/ITES. The AO was of the view that assessee required to deduct TDS on payment made towards [LexDoc Id : 483430]
|
ITAT (Mumbai) |
2015 |
Umed Singh Baid vs UOI and Ors.
[LexDoc Id : 483735]
|
HC (Delhi) |
2015 |
Granules India Ltd. vs DCIT
Addition on account of transfer pricing adjustment-Section 92 C of the Income Tax Act, 1961. Determination of Arm Length Price-The assessee challenged the addition made by TPO while making transfer pricing adjustment. Whether, the transfer pricing adjustment made by TPO was ju [LexDoc Id : 483583]
|
ITAT (Hyderabad) |
2015 |
Dover India (P) Ltd. vs DCIT
Transfer pricing adjustment-Rule 10B (4) of the Income-tax Rules, 1962. Selection of Comparable -The assessee was engaged in rendering software services and had entered into various international transactions with its Associated Enterprises. Asses [LexDoc Id : 483582]
|
ITAT (Pune) |
2015 |
Rajesh Kumar Prasad vs State of Jharkhand
Offences under FERA 1973 punishment of which extending to seven years non-bailable-No provision in Act speaking about compounding of offences-On the question whether offences, punishment of which extended to seven years under the Foreign Exchange Regulation Act 1973, being non-cognisable in [LexDoc Id : 483863]
|
HC (Jharkhand) |
2015 |
Toshiba India (P) Ltd. vs DCIT
Disallowance of duty paid on obsolete goods-Deduction for Special Additional Duty (SAD)-The AO disallowed the Advances written off. The assessee claimed that goods in respect of which amount of SAD was paid became obsolete, the amount of [LexDoc Id : 482976]
|
ITAT (Delhi) |
2015 |
Pride Offshore International LLC vs Addl. DIT
Taxability of non-resident assesee-Section 44BB of the Income Tax Act, 1961. Benefit of presumptive taxation-The assessee was in the business of providing drilling rig, services and facilities in connection with prospecting production and extraction of minera [LexDoc Id : 482939]
|
ITAT (Delhi) |
2015 |
Lister Petter India (P) Ltd. vs ACIT
Assessing Officer’s power to make reference-Section 92CA of the Income Tax Act, 1961. Reference to Transfer Pricing Officer-Assessee challenged the AO action of reopening of assessment and making addition on the ground that AO had no power to make reference in absence of pe [LexDoc Id : 482931]
|
ITAT (Pune) |
2015 |
Saptagiri Restaurant vs Airports Authority of India
[LexDoc Id : 483770]
|
HC (Delhi) |
2015 |
R.B. Shreeram Durgaprasad (P) Ltd. vs CIT
Sustainability of additions-Addition made for unaccounted income-The assessee Private Limited Company and Export firm deal in export of manganese to various countries. During search and seizure proceedings conducted [LexDoc Id : 482457]
|
HC (Bombay) |
2015 |
CIT vs Everest Kento Cylinders Ltd.
Disallowance of expenses-Section 14A of the Income Tax Act, 1961. Rule 8D of the Income Tax Rule, 2008. Deduction for expenses. Transfer pricing adjustment of corporate guarantee-The Assessee was engaged in making High Pressure Gas Cylinder services and compressed natural gas cylinder. The assessee was informed that as per Rule [LexDoc Id : 482456]
|
HC (Bombay) |
2015 |
Orange Business Services India Networks (P) Ltd. vs DCIT
Determination of Arm Length Price-Determination of Arm Length Price-The assessee had taken over the business operation of GOIPL, claimed that it follows the same business model, undertakes the same operations, services [LexDoc Id : 482247]
|
ITAT (Delhi) |
2015 |
JCB India Ltd. vs DCIT
Arm length royalty rate-Section 92C of the Income Tax Act, 1961. Determination of Arm Length Price-The AO referred the issue to the TPO in regard to international transaction with regard to royalty payment with AE. The assessee claimed that the asse [LexDoc Id : 482244]
|
ITAT (Delhi) |
2015 |
GS Engg. and Construction (P) Ltd. vs DCIT
Transfer pricing adjustment-Electricity and maintenance charges-The assessee, wholly owned subsidiary of the GS Engineering and Construction, Korea, was engaged in the business of Engineering, Procurement and Const [LexDoc Id : 482242]
|
ITAT (Delhi) |
2015 |
Astrix Laboratories Ltd. vs ACIT
Deletion of addition on account of TP adjustment-Addition in the income-The AO referred the matter to the TPO for determining the Arm’s Length Price for transaction between the assessee company and M/s. Mylan Laboratories [LexDoc Id : 482237]
|
ITAT (Hyderabad) |
2015 |
DCIT vs Promed Exports (P) Ltd.
[LexDoc Id : 483017]
|
ITAT (Delhi) |
2015 |
K.P. Sanghvi Jewels (P) Ltd. vs ITO
ITO vs K.P. Sanghvi Jewels (P) Ltd.
[LexDoc Id : 483584]
|
ITAT (Mumbai) |
2015 |
Gail India Ltd. vs Avinash Em Projects (P) Ltd.
[LexDoc Id : 482611]
|
HC (Delhi) |
2015 |
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