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M/s Keynesian Financial Services Ltd. vs. DCIT, Circle-7(1)

ITA No.2264/KOL/2024Income Tax Appellate Tribunal 'C' Bench, Kolkata28 Mar 2025

The assessee, M/s Keynesian Financial Services Ltd., filed its return of income on 21.09.2013, declaring a total income of ₹ 84,930/-. The assessee was engaged in financing and dealing in shares and securities. The case was reopened under s

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Income Tax Officer, Ward -12(1) Vs. Vasa Commercial Pvt. ltd.

ITA No.1675/KOL/2024INCOME TAX APPELLATE TRIBUNAL “ C” BENCH, KOLKATA17 Mar 2025

The assessee, Vasa Commercial Pvt. ltd., filed the return of income on 24.09.2015, declaring a total income of ₹78,09,700/-. The case was reopened u/s 147 of the Act by issuing a notice u/s 148 of the Act on 31.03.2021. The Assessing Office

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Sandip Kumar Keshari Vs. ITO, Ward 3(1)

ITA No. 349/KOL/2024INCOME TAX APPELLATE TRIBUNAL “A” BENCH, KOLKATA11 Mar 2025

The assessee, Sandip Kumar Keshari, did not file any return of income for the assessment year 2017-18. The proceedings under section 147 of the Income Tax Act were initiated by issuing a notice under section 148 on 24.03.2021. The case was

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North India Wires Limited Vs. DCIT, Circle 3(1), Kolkata

ITA No.1125/KOL/2024INCOME TAX APPELLATE TRIBUNAL “A” BENCH, KOLKATA4 Mar 2025

The return was filed on 29.03.2013, declaring total income of Rs.3,04,06,700/-. The assessee is engaged in the business of manufacturing LPG Cylinders. The case of the assessee was selected for scrutiny and assessment was framed vide order

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Suresh Kumar Banthia vs DCIT, CC 4(3), Kolkata

ITA No.1894/KOL/2025Income Tax Appellate Tribunal 'D' Bench, Kolkata13 Jan 2026

The case involves an appeal by the Revenue and a cross-objection by the assessee against the order of the Commissioner of Income-tax (Appeals), Kolkata, dated 31.03.2025 for the Assessment Year 2016-17. The original assessment was completed

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Asha Devi Mohta Vs ACIT/DCIT, Circle-34, Kolkata

ITA No.2553/KOL/2025Income Tax Appellate Tribunal "SMC" Bench Kolkata12 Jan 2026

This is an appeal filed by the assessee, Asha Devi Mohta, against the order dated 08.07.2025 passed by the ld.Addl/JCIT(A)-7, Delhi for the assessment year 2015-2016. The assessee's return of income was accepted, and no interest under secti

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Maithan Ceramic Limited vs ACIT, Circle-7(1), Kolkata

ITA No.1944/KOL/2025Income Tax Appellate Tribunal “C” Bench, Kolkata1 Jan 2026

Maithan Ceramic Limited, engaged in manufacturing and dealing in refractory goods, filed its return of income for the Assessment Year 2011-12 declaring a total income of ₹28,82,17,350/-. The case was selected for scrutiny, and the assessmen

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M/s Parama Construction Pvt. Ltd. Vs. ITO, Ward 2(3)

ITA No.1282/KOL/2025INCOME TAX APPELLATE TRIBUNAL “D” BENCH, KOLKATA15 Oct 2025

The assessee, M/s Parama Construction Pvt. Ltd., filed its return of income on 16.03.2012 declaring a total income of ₹77,360/-. The case was reopened under section 147 of the Act by issuing a notice under section 148 on 30.03.2016. The ass

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Umang Webtech Private Limited Vs. Income Tax Officer

ITA No.710/KOL/2025INCOME TAX APPELLATE TRIBUNAL “D” BENCH, KOLKATA6 Nov 2025

The assessee, Umang Webtech Private Limited, filed its return of income on 30.09.2012, declaring a total income of ₹5,43,834/-. The case was reopened under section 147 of the Act by issuing a notice under section 148 on 28.03.2019, which th

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Paras Plaza Pvt. Ltd. Vs. Income Tax Officer, Ward 10(4), Kolkata

ITA No.2676/KOL/2024INCOME TAX APPELLATE TRIBUNAL “ B” BENCH, KOLKATA3 Nov 2025

The assessee, Paras Plaza Pvt. Ltd., filed a return of income on 11.01.2013 declaring a total loss of ₹27,163/-. The case was reopened under section 147 of the Act by issuing a notice under section 148 on 26.03.2019. The assessee filed a re

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Income Tax Officer, Ward 3(1), Kolkata Vs. Anushreya Investment Private Limited

ITA No. 2543/KOL/2024INCOME TAX APPELLATE TRIBUNAL “A” BENCH, KOLKATA19 Nov 2025

The assessee, Anushreya Investment Private Limited, filed its return of income on 16-9-2011 declaring an income of Rs. 1,49,290/-. The case was selected for scrutiny under Section 147 of the Act, and a notice was issued on 27-3-2018. The As

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Essen Marketing Pvt. Ltd. Vs. ITO, Ward 9(1)

ITA No. 2241/KOL/2025Income Tax Appellate Tribunal 'A' Bench, Kolkata18 Dec 2025

The assessee, Essen Marketing Pvt. Ltd., filed its return of income on 14.09.2012, showing total income at ₹nil. The case of the assessee was reopened under section 147 of the Act by issuing a notice under section 148 of the Act on 27.03.20

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DCIT, Central Circle-4(3), Kolkata Vs Ishana Projects Private Limited

ITA No.1774 & 1775/KOL/2025INCOME TAX APPELLATE TRIBUNAL “B” BENCH, KOLKATA30 Dec 2025

The case involves two appeals filed by the revenue against the orders of the CIT(Appeals), Kolkata, for the assessment years 2015-2016 and 2016-2017. The revenue filed the appeals belatedly by five days each but provided sufficient reasons

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Albatross Investment Pvt. Ltd. vs. ITO, Ward 3(1)

ITA No.400/KOL/2025Income Tax Appellate Tribunal 'A' Bench, Kolkata2 Dec 2025

The assessee, Albatross Investment Pvt. Ltd., filed its return of income under section 139(1) of the Act on 28.09.2013, declaring a total income of ₹19,250/-. The case was reopened under section 147 of the Act by issuing a notice under sect

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Raghuvir Retailers Pvt. Ltd. vs PCIT-2

ITA No.919/KOL/2024Income Tax Appellate Tribunal 'A' Bench, Kolkata11 Feb 2024

The assessee, Raghuvir Retailers Pvt. Ltd., filed its return of income on 28.09.2013 declaring a loss of ₹5,144/-. Subsequently, the case was reopened under section 147 of the Income-tax Act, 1961, based on information alleging receipt of ₹

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