Browse Tax Judgements
Showing 121–139 of 139 judgements · Browse by section & bench
Free to read — no signup required. Every judgement includes the facts, legal issues, outcome and related cases. Create a free account for AI chat, drafting and workspaces.
ITA No. 6174/MUM/2025
The assessee, Bhavin Kumar Rameshkumar Jain, filed his return of income electronically on 08.08.2019, declaring a gross total income of ₹36,29,172/- and total taxable income of ₹29,17,550/-. Subsequently, a search and seizure action under s…
ITA No. 2234/M/2025
This appeal has been preferred by the Revenue against the order dated 16.01.2025, passed by the Ld. Commissioner of Income Tax (Appeals) under section 250 of the Income Tax Act, 1961 for the Assessment Year 2008-09. The Assessee opted for t…
ITA No. 4754/Mum/2025
The assessee, Lodha Developers Limited, is a company engaged in real estate construction and development. For the assessment year 2016-17, the assessee filed its return of income electronically declaring a total income of Rs. 83,28,22,820/-…
ITA No. 4353/MUM/2025 (AY: 2009-10) & ITA No. 4352/MUM/2025 (AY: 2012-13)
The assessee-company, M/s Essar Power Gujarat Limited, is engaged in the business of generation of electricity. The case was reopened under Section 147 based on information from the Directorate of Revenue Intelligence (DRI) regarding over-i…
Supreme Mega Construction LLP vs. ACIT Circle-22(1)
The assessee, Supreme Mega Construction LLP, is a limited liability partnership firm engaged in the business of construction and development of real estate projects. For the assessment year 2022-23, the assessee filed its return of income d…
ITA No.4000/Mum/2025
The assessee, Anandilal & Ganesh Podar Society, is a charitable trust registered under section 12A of the Income-tax Act, 1961, engaged in running educational institutions. For the Assessment Year 2015-16, the assessee claimed exemption und…
ACIT CC 7(4), Mumbai Vs. Aayush Infotech Private Limited
The present appeal has been filed by the Revenue against the order dated 14.07.2025 passed by the learned Commissioner of Income Tax (Appeals)-49, Mumbai, arising out of the assessment framed by the Assessing Officer under section 143(3) re…
Abhishek Jayketu Joshi Vs. AC CIR-42(2)(1)
The assessee, Abhishek Jayketu Joshi, filed his original return of income for the year 2019-20 declaring a total income of Rs. 1,48,76,220/- after claiming deductions. He claimed a deduction of Rs. 5,00,000/- under section 80GGC for a donat…
Abdul Salam Mohamed Yasin vs. DCIT, Circle 17(1), Mumbai
The appeal was filed by the assessee, Abdul Salam Mohamed Yasin, against the order dated 13.10.2025 passed by the National Faceless Appeal Centre, Delhi, for the quantum of assessment framed under section 147 read with section 144 of the In…
Aakash Value Realty Private Limited Vs. DCIT CC-1(2), Mumbai
The assessee, Aakash Value Realty Private Limited, a private limited company engaged in the business of builders and property developers, filed its original return of income for the assessment year 2016-17 declaring a total income of ₹33,45…
ITA No.3988/Mum/2025
The assessee, M/s. Everest Food Products Pvt. Ltd., originally an erstwhile partnership firm named M/s. S Narendra Kumar and Co. (SNC), was converted into a private limited company on 12.05.2020. The company is engaged in manufacturing, tra…
A B Exports Private Limited Vs. Income Tax Officer
The appeal is by A.B. Exports Private Limited against the order of the Commissioner of Income Tax (Appeals)-29, New Delhi, which upheld additions made by the Assessing Officer under section 143(3) read with section 147 of the Income Tax Act…
9X Media Private Limited Vs. ACIT 16(1), Mumbai
The present appeal has been filed by the assessee, 9X Media Private Limited, challenging the order passed by the National Faceless Appeal Centre, Delhi (NFAC) for the assessment year 2022-23. The assessee raised several contentions includin…
Procter & Gamble Hygiene and Health Care Limited vs. Assessment Unit, National Faceless Assessment Centre, Delhi
The appeal was filed by Procter & Gamble Hygiene and Health Care Limited against the order dated 31/03/2025 passed by the National Faceless Assessment Centre (NFAC), Delhi, for the assessment year 2015-16. The assessee challenged the reopen…
Pr. Commissioner of Income Tax-5, Mumbai Versus Kanak Impex (India) Ltd.
The respondent-assessee, Kanak Impex (India) Ltd., is a company engaged in trading iron and steel. During the reassessment proceedings for the assessment year 2009-10, the appellant-revenue (Pr. Commissioner of Income Tax-5, Mumbai) added R…
ITA No.6546/M/2024, ITA No.6549/M/2024, ITA No.6779/M/2024
The assessee, Khimchand Okchand Bhansali, claimed to deal in ferrous and non-ferrous metals and made purchases of Rs. 1,12,13,732/- through banking channels during the year under consideration. The assessee provided purchase invoices, bank …
Ebay Singapore Services Private Limited vs. Deputy Commissioner of Income-tax
The assessee, eBay Singapore Services Private Limited, is a non-resident company incorporated in Singapore in 2003. It provides e-commerce-related services to its group companies and has been a resident of Singapore, obtaining Tax Residency…
Revenue vs. Manju Diamonds Pvt. Ltd.
The assessee, Manju Diamonds Pvt. Ltd., filed its original return of income for the Assessment Year 2017-18 on 31.10.2017, declaring a total income of ₹1,70,303/-. Subsequently, the Assessing Officer received information from the Deputy Com…
IN THE MATTER OF THE COMPANIES ACT, 2013 AND IN THE MATTER OF SECTION 230-232 OF THE COMPANIES ACT, 2013 READ WITH THE COMPANIES (COMPROMISES, ARRANGEMENTS AND AMALGAMATIONS) RULES, 2016 AND IN THE SCHEME OF AMALGAMATION (MERGER BY ABSORPTION) BETWEEN THE KOLHAPUR STEEL LIMITED (TRANSFEROR COMPANY) AND KARAD PROJECTS AND MOTORS LIMITED (TRANSFEREE COMPANY) AND THEIR RESPECTIVE SHAREHOLDERS
The case pertains to the sanction of a Scheme of Amalgamation (Merger by Absorption) between The Kolhapur Steel Limited (Transferor Company) and Karad Projects And Motors Limited (Transferee Company) under Sections 230 to 232 of the Compani…