Browse Tax Judgements
Showing 1–7 of 7 judgements · Browse by section & bench
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Aakash Bhardwaj vs AO Circle-1
The assessee is engaged in the business of providing industrial manpower to his clients and had filed its return for A.Y. 2024-25 on 07.11.2024. Subsequently, the assessee revised its return on 15.01.2025, declaring income of Rs. 25,41,180/…
Nitin Garg Vs Income Tax Officer
The appeal by the assessee is directed against the order of National Faceless Appeal Centre/Ld. Commissioner of Income Tax(Appeals), New Delhi, dated 21.10.2025 arising out of assessment order dated 08.01.2024 passed under section 147 r.w.s…
Nikhil Rajpal vs ITO
The assessee, Nikhil Rajpal, filed an appeal against the order dated 16.07.2025, passed by the National Faceless Appeal Centre/Learned Commissioner of Income Tax (Appeals), New Delhi, under section 250 of the Income Tax Act, 1961 for Assess…
Ferranza Electric Vehicle Pvt. Ltd Vs. DCIT
The assessee filed its return of income for AY 2023-24 on 15.10.2023, which was deemed invalid under section 139(9) of the Income Tax Act, 1961. The assessee subsequently filed a revised return under section 139(5) on 18.12.2023, opting for…
P & R Engineering Service Pvt. Ltd. vs. DCIT Circle-19(1)
The assessee claimed deduction under Section 80-IA of the Income Tax Act, 1961 amounting to INR 5,62,48,491/- which was disallowed by the AO because the return of income was filed belatedly on 30.03.2019. The Ld. CIT(A) confirmed the disall…
Vikalp Education Society Vs. DCIT
The assessee, Vikalp Education Society, is an education society registered under section 12A of the Income-tax Act, 1961, running a school named Vikalp Public High School. For the assessment year 2022-23, the assessee filed its return of in…
SHREEJI INFRA PROJECTS VS. INCOME TAX OFFICER/ASSESSMENT UNIT, NEW DELHI
The assessee, SHREEJI INFRA PROJECTS, sold immovable property worth Rs. 87,75,000/- but did not file an income tax return under section 139(1) of the Act nor offered the financial transactions for taxation. Consequently, an action under sec…