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9 results for “reassessment u/s 147”+ Section 150clear

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Key Topics

Section 26025Section 14810Section 1478Section 244A5Addition to Income4Section 143(3)3Section 148(2)3Section 1712Section 143

M/S T T K PRESTIGE LTD vs. THE DEPUTY COMMISSIONER OF INCOME TAX

WP/30388/2015HC Karnataka10 Aug 2018

Bench: The Hon’Ble Mrs.Justice S.Sujatha

Section 143Section 147Section 148

reassess was brought to the notice - 8 - of the Court, arguing that, on concluding the assessment under section 143[3] of the Act, with all the material facts available on record, the presumption u/s. 114[e] of the Indian Evidence Act, 1872 would be that the AO has looked into all the aspects of the matter made available

WIPRO LIMITED vs. THE JOINT COMMISSIONER OF INCOME TAX

WP/20040/2019HC Karnataka25 Aug 2021

Bench: The Hon’Ble Mr. Justice Krishna S.Dixit Writ Petition No.20040/2019 (T-It) Between:

Section 1
2
Set Off of Losses2
Reopening of Assessment2
Section 143(2)
Section 143(3)
Section 244A
Section 254
Section 92C

147 (post substitution vide Finance Act, 2021 with effect from 01.04.2021)  Section 148 (prior to substitution vide Finance Act, 2021 with effect from 01.04.2021) and section 148 (post substitution vide Finance Act, 2021 with effect from 01.04.2021)  Section 150  Section 153(3)(ii) [prior to substitution vide Finance Act, 2016 with effect from 01.06.2016]  Section 153(6)(i) [post substitution

M/S THE KARNATAKA STATE CO-OPERATIVE APEX BANK vs. THE DEPUTY COMMISSIONER OF INCOME TAX

In the result, the appeal is disposed of

ITA/392/2016HC Karnataka06 Jul 2021

Bench: ALOK ARADHE,HEMANT CHANDANGOUDAR

Section 143(1)Section 143(3)Section 147Section 148Section 260Section 260A

u/s 148 of the Act on the facts and circumstances of the case? (3) Whether the Tribunal is justified in law in holding that the appellant is not entitled to make additional claim of loss incurred of Rs.8,28,65,052/- in the re- assessment proceedings under section 147 of the Act on the facts and circumstances of the case

THE COMMISSIONER OF INCOME-TAX vs. M/S. IBC KNOWLEDGE PARK PVT. LTD.,

In the result, the appeals filed by the Revenue

ITA/402/2009HC Karnataka28 Apr 2016

Bench: B.V.NAGARATHNA,JAYANT PATEL

Section 260

150, DIAMOND DISTRICT, TOWER B, PENT HOUSE, AIRPORT ROAD, BANGALORE – 560 038. ... RESPONDENT (BY SRI: K.P. KUMAR, SENIOR COUNSEL FOR SRI. T. SURYANARAYANA, ADVOCATE) ***** THESE APPEALS ARE FILED UNDER SEC.260-A OF INCOME TAX ACT 1961, ARISING OUT OF ORDER DATED:25/04/2014 PASSED IN ITA.NO.905/BANG/2013 & CO.NO.105/BANG/2013, FOR THE ASSESSMENT YEAR 2006-2007 AND ETC., THESE APPEALS HAVING BEEN RESERVED

THE COMMISSIONER OF INCOME-TAX vs. M/S. IBC KNOWLEDGE PARK PVT. LTD.,

In the result, the appeals filed by the Revenue

ITA/403/2009HC Karnataka28 Apr 2016

Bench: B.V.NAGARATHNA,JAYANT PATEL

Section 260

150, DIAMOND DISTRICT, TOWER B, PENT HOUSE, AIRPORT ROAD, BANGALORE – 560 038. ... RESPONDENT (BY SRI: K.P. KUMAR, SENIOR COUNSEL FOR SRI. T. SURYANARAYANA, ADVOCATE) ***** THESE APPEALS ARE FILED UNDER SEC.260-A OF INCOME TAX ACT 1961, ARISING OUT OF ORDER DATED:25/04/2014 PASSED IN ITA.NO.905/BANG/2013 & CO.NO.105/BANG/2013, FOR THE ASSESSMENT YEAR 2006-2007 AND ETC., THESE APPEALS HAVING BEEN RESERVED

THE COMMISIONER OF INCOME-TAX vs. M/S IBC KNOWLEDGE PARK PVT LTD

In the result, the appeals filed by the Revenue

ITA/402/2014HC Karnataka28 Apr 2016

Bench: B.V.NAGARATHNA,JAYANT PATEL

Section 260

150, DIAMOND DISTRICT, TOWER B, PENT HOUSE, AIRPORT ROAD, BANGALORE – 560 038. ... RESPONDENT (BY SRI: K.P. KUMAR, SENIOR COUNSEL FOR SRI. T. SURYANARAYANA, ADVOCATE) ***** THESE APPEALS ARE FILED UNDER SEC.260-A OF INCOME TAX ACT 1961, ARISING OUT OF ORDER DATED:25/04/2014 PASSED IN ITA.NO.905/BANG/2013 & CO.NO.105/BANG/2013, FOR THE ASSESSMENT YEAR 2006-2007 AND ETC., THESE APPEALS HAVING BEEN RESERVED

SHRI. SUMIR J. HINDUJA vs. THE DEPUTY COMMISSIONER OF INCOME TAX

In the result, appeal is disposed of

ITA/7/2017HC Karnataka02 Aug 2021

Bench: ALOK ARADHE,HEMANT CHANDANGOUDAR

Section 147Section 148(2)Section 2(22)(e)Section 260

Section 147 are satisfied? (5) Whether on the facts and in the circumstances of the case, there was any reliable and cogent material in the recording u/s 148(2) of the Assessing Officer to initiate reassessment proceedings? (6) Whether on the facts and circumstances of the case the funds provided to the associate concerns

THE COMMISSIONER OF INCOME TAX vs. M/S.MILLENNIA DEVELOPERS (P) LTD

ITA/735/2009HC Karnataka19 Nov 2018

Bench: The Hon'Ble Mr. Justice Ravi Malimath

Section 171Section 260

150/- for 25 flats) should be treated as bad debt when the sale is registered in the name of the purchasers (share holders relatives) in the year 2004, due to the fact that the share holders of the assessee company and the eight purchasers who are relatives of the share holders enter into family arrangement and partition (recognised u/s

THE COMMISSIONER OF INCOME TAX vs. M/S.MILLENNIA DEVELOPERS (P) LTD

ITA/734/2009HC Karnataka19 Nov 2018

Bench: The Hon'Ble Mr. Justice Ravi Malimath

Section 171Section 260

150/- for 25 flats) should be treated as bad debt when the sale is registered in the name of the purchasers (share holders relatives) in the year 2004, due to the fact that the share holders of the assessee company and the eight purchasers who are relatives of the share holders enter into family arrangement and partition (recognised u/s