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36 results for “section 68”+ Section 278Bclear

Sorted by relevance

Delhi36Kolkata2Mumbai2

Key Topics

Section 6884Section 153A57Section 153C36Addition to Income35Section 260A24Section 143(3)13Section 278B11Section 1439Section 1329Disallowance2Revision u/s 2632Rectification u/s 1542

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/399/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/633/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

Showing 1–20 of 36 · Page 1 of 2

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/364/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/760/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/362/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/345/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/718/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/356/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/612/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/355/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/727/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX-06 vs. MATCHLESS GLASS SERVICES PVT. LTD

ITA/729/2015HC Delhi18 Dec 2015
Section 153ASection 260ASection 68

68 of the Act as indicated below: Assessment Year Total Deposits Less Amount Invested in SVP Group Additions made by AO CIT(A)/ITAT (Addition Deleted) (See note below) 2003-04 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc) 2004-05 Nil (No bank account) Nil 50,00,000 (Adhoc) 50,00,000 (Adhoc

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/728/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/734/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/791/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/719/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/751/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/794/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/792/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group

PR. COMMISSIONER OF INCOME TAX -03 vs. M/S FLUCKY LEASING & FINANCE PVT. LTD

ITA/730/2015HC Delhi18 Dec 2015
Section 153ASection 153CSection 260ASection 68

68 of the Act. The CIT(A) called for a remand report on the submissions made by the Assessee. The AO submitted the remand report, inter alia, enclosing a satisfaction note recorded by the AO, which reads as under:- “A search operation u/s 132(1) of the Income Tax Act, 1961 was conducted in the case of SVP Group