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19 results for “section 68”+ Section 153A(1)(b)clear

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Key Topics

Section 26049Section 153A14Section 14811Section 15310Section 260A9Section 1328Addition to Income8Section 153C6Section 143(3)6Revision u/s 263

PR. COMMISSIONER OF INCOME TAX vs. SMT. G. LAKSHMI ARUNA

ITA/705/2018HC Karnataka31 Mar 2023

Bench: K.SOMASHEKAR,UMESH M ADIGA

Section 132Section 143(3)Section 144Section 153CSection 153DSection 260A

b) of subsection 1 of Section 153A of the Act. 9. It is further contended that Tribunal erroneously set-aside the assessment order passed for the year assessment year 2011- 12 holding that there is no satisfaction recorded by the assessing officer of the searched person (153A) in the file of the said person ignoring the intention of legislature

PR. COMMISSIONER OF INCOME TAX vs. SHRI. GALI JANARDHANA REDDY

5
Disallowance3
Reassessment2
ITA/704/2018
HC Karnataka
31 Mar 2023

Bench: K.SOMASHEKAR,UMESH M ADIGA

Section 132Section 143(3)Section 144Section 148Section 153CSection 153DSection 260A

b) of subsection 1 of Section 153A of the Act. 7.It is further contended that Tribunal erroneously set-aside the assessment order passed for the year assessment year 2011- 12 holding that there is no satisfaction recorded by the assessing officer of the searched person (153A) in the file of the said person ignoring the intention of legislature

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

1) are, that the Assessing Officer is satisfied that any valuable assets or books of account or document seized or requisitioned belongs to a person other than the person referred in section 153A of the Act. In such a case, he shall handover to the Assessing Officer having jurisdiction of such other person, the books of account or document

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

1) are, that the Assessing Officer is satisfied that any valuable assets or books of account or document seized or requisitioned belongs to a person other than the person referred in section 153A of the Act. In such a case, he shall handover to the Assessing Officer having jurisdiction of such other person, the books of account or document

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

1) are, that the Assessing Officer is satisfied that any valuable assets or books of account or document seized or requisitioned belongs to a person other than the person referred in section 153A of the Act. In such a case, he shall handover to the Assessing Officer having jurisdiction of such other person, the books of account or document

THE PRINCIPAL COMMISSIONER vs. M/S OBULAPURAM MINING

ITA/100012/2017HC Karnataka17 Mar 2023

Bench: K.SOMASHEKAR,UMESH M ADIGA

Section 143(3)Section 144CSection 144C(13)Section 260ASection 37(1)Section 92ASection 92C

68,440/- (b) In respect of Helicopter Hiring Charges 72,23,641/- Total adjustments Rs.112,20,92,081/- 7. It is further stated that the draft assessment order came to be passed under section 144C read with Section 143(3) of the Income Tax Act, 1961 by adopting the above adjustments to the value of the international transactions

THE COMMISSIONER OF INCOME TAX, vs. M/S BAHUBALI NEMINATH MUTTIN,

The appeals are dismissed

ITA/5029/2011HC Karnataka13 Jul 2016

Bench: ANAND BYRAREDDY,RAGHVENDRA S.CHAUHAN

Section 132Section 143Section 153ASection 260ASection 40ASection 41Section 68Section 69B

68 of the I.T. Act at Rs.10,72,247/- was confirmed. The addition on account of gross profit on suppressed sales was deleted 5 and the addition under Section 41 (1) was confirmed. That order was challenged by both, the assessee as well as the Revenue before the Income Tax Appellate Tribunal (ITAT). The assessee had raised an additional

RNS INFRASTRUCTURE LIMITED vs. INCOME TAX SETTLEMENT COMMISSIONER

In the result, writ petitions are allowed

WP/46275/2016HC Karnataka07 Dec 2016

Bench: The Hon’Ble Mr. Justice L. Narayana Swamy Writ Petition Nos.46275-46289 Of 2016 (T-It)

Section 132Section 139Section 153ASection 156Section 245Section 245DSection 245D(4)Section 271(1)(C)

153A of the Act for the said Assessment Year calling upon the petitioner to file a return of income. Accordingly, return of income was filed on 24th January 2014 returning the same income as was originally returned under Section 139 of the Act. 4. Subsequently, petitioner filed an application in Form 34-B of the Act before the first

THE PR COMMISSIONER OF INCOME TAX vs. M/S ATRIA WIND (KADAMBUR) PVT LTD

ITA/103/2025HC Karnataka03 Sept 2025

Bench: CHIEF JUSTICE,C M JOSHI

Section 132Section 143(3)Section 153ASection 2Section 260Section 260ASection 47

B) ALLOW THE APPEAL AND SET ASIDE THE ORDER PASSED BY THE INCOME TAX APPELLATE TRIBUNAL, BENGALURU, IN ITA No.692/BANG/2024 DATED 15.10.2024 FOR ASSESSMENT YEAR 2017-18 ANNEXURE-A AND CONFIRM THE ORDER OF THE APPELLATE COMMISSIONER CONFIRMING THE ORDER PASSED BY THE DEPUTY COMMISSIONER OF INCOME TAX, CENTRAL CIRCLE 2(4) BENGALURU. THIS APPEAL, COMING ON FOR ORDERS, THIS

THE PRL.COMMISSIONER OF INCOME TAX vs. SUNITA BAI

ITA/100058/2015HC Karnataka12 Jan 2017

Bench: SREENIVAS HARISH KUMAR,RAGHVENDRA S. CHAUHAN

Section 142(1)Section 143(1)Section 143(2)Section 153ASection 153CSection 260ASection 68

B. P. Anandkumar Singh was initiated under Section 153A of the Act. Moreover, a notice under Section 153C of the Act was issued to the assessee on 31.10. 2008. In response to the said notice, the assessee filed a return of income tax on 19.12.2008 declaring her income as Rs.17,336/-. On 28.04.2009, a notice under Section

THE COMMISSIONER OF INCOME TAX vs. KENNAMETAL INC,USA

ITA/68/2024HC Karnataka02 Apr 2025

Bench: KRISHNA S DIXIT,RAMACHANDRA D. HUDDAR

Section 153Section 153(7)Section 4

B S Location: HIGH COURT OF KARNATAKA - 2 - HC-KAR NC: 2025:KHC:30667-DB WA No. 68 of 2024 THIS WRIT APPEAL IS FILED UNDER SECTION 4 OF THE KARNATAKA HIGH COURT ACT PRAYING TO SET ASIDE THE ORDER DATED 17.08.2023 IN WRIT PETITION No.13946 OF 2020 (T-IT) PASSED BY THE HON'BLE LEARNED SINGLE JUDGE. THIS

COMMISSIONER OF INCOME TAX vs. S.MADHAVA (HUF)

The appeals are allowed

ITA/5036/2009HC Karnataka13 Aug 2012

Bench: N.KUMAR,H.S.KEMPANNA

Section 139(1)Section 148Section 153Section 260

68,765/- `75,35,23,140/- Smt. S.M.Parvathi `11,79,54,693/- `41,07,23,368/- Sri.S.Madhava (HUF) `4,37,24,300/- `12,05,96,382/- The enquiries with the purchasers and perusal of their bank accounts reveal that the assessee has followed a circuitous method of transferring money from one account to other on the same day without

COMMISSIONER OF INCOME TAX vs. S.MADHAVA (HUF)

The appeals are allowed

ITA/5038/2009HC Karnataka13 Aug 2012

Bench: N.KUMAR,H.S.KEMPANNA

Section 139(1)Section 148Section 153Section 260

68,765/- `75,35,23,140/- Smt. S.M.Parvathi `11,79,54,693/- `41,07,23,368/- Sri.S.Madhava (HUF) `4,37,24,300/- `12,05,96,382/- The enquiries with the purchasers and perusal of their bank accounts reveal that the assessee has followed a circuitous method of transferring money from one account to other on the same day without

COMMISSIONER OF INCOME TAX vs. S.MADHAVA, M/S BELLARY STEEL ROLING MILLS,

The appeals are allowed

ITA/5034/2009HC Karnataka13 Aug 2012

Bench: N.KUMAR,H.S.KEMPANNA

Section 139(1)Section 148Section 153Section 260

68,765/- `75,35,23,140/- Smt. S.M.Parvathi `11,79,54,693/- `41,07,23,368/- Sri.S.Madhava (HUF) `4,37,24,300/- `12,05,96,382/- The enquiries with the purchasers and perusal of their bank accounts reveal that the assessee has followed a circuitous method of transferring money from one account to other on the same day without

COMMISSIONER OF INCOME TAX vs. S.MADHAVA, M/S BELLARY STEEL ROLING MILLS,

The appeals are allowed

ITA/5035/2009HC Karnataka13 Aug 2012

Bench: N.KUMAR,H.S.KEMPANNA

Section 139(1)Section 148Section 153Section 260

68,765/- `75,35,23,140/- Smt. S.M.Parvathi `11,79,54,693/- `41,07,23,368/- Sri.S.Madhava (HUF) `4,37,24,300/- `12,05,96,382/- The enquiries with the purchasers and perusal of their bank accounts reveal that the assessee has followed a circuitous method of transferring money from one account to other on the same day without

COMMISSIONER OF INCOME TAX vs. S.PARVATHI MADHAVA

The appeals are allowed

ITA/5037/2009HC Karnataka13 Aug 2012

Bench: N.KUMAR,H.S.KEMPANNA

Section 139(1)Section 148Section 153Section 260

68,765/- `75,35,23,140/- Smt. S.M.Parvathi `11,79,54,693/- `41,07,23,368/- Sri.S.Madhava (HUF) `4,37,24,300/- `12,05,96,382/- The enquiries with the purchasers and perusal of their bank accounts reveal that the assessee has followed a circuitous method of transferring money from one account to other on the same day without

THE COMMISSIONER OF INCOME TAX vs. M/S MINERAL ENTERPRISES LTD

ITA/91/2010HC Karnataka23 Nov 2018

Bench: The Hon'Ble Mr. Justice Ravi Malimath

Section 10Section 132Section 143(2)Section 153ASection 260ASection 80I

153A of the Act was issued to the assessee. In response to the same, the Company filed its return of income, declaring the 4 income as originally returned. Subsequently, a notice under Section 143(2) of the Act was issued to the assessee. The Assessing Officer computed the profits of both the units on the basis of allocation

THE COMMISSIONER OF INCOME TAX vs. M/S MINERAL ENTERPRISES LTD

ITA/90/2010HC Karnataka23 Nov 2018

Bench: The Hon'Ble Mr. Justice Ravi Malimath

Section 10Section 132Section 143(2)Section 153ASection 260ASection 80I

153A of the Act was issued to the assessee. In response to the same, the Company filed its return of income, declaring the 4 income as originally returned. Subsequently, a notice under Section 143(2) of the Act was issued to the assessee. The Assessing Officer computed the profits of both the units on the basis of allocation

PRATHIBHA JEWELLERY HOUSE vs. THE COMMISSIONER OF INCOME TAX (APPEALS)

WP/24646/2015HC Karnataka07 Nov 2017

Bench: The Hon'Ble Dr.Justice Vineet Kothari

Section 132ASection 143(3)Section 153Section 153A

68 years No.1/1, Raja Ram Mohan Roy Road Richmond Circle Bangalore – 560 025. …Petitioner (By:Mr.A Shankar, Advocate) AND: 1. The Commissioner of Income Tax (Appeals) Office of the Commissioner of Income-Tax (Appeals)- 11, Central Revenue Building Queens Road, Bangalore – 560 001. 2. The Commissioner of Income-Tax Central Circle, C.R.Building, Queens Road Bangalore – 560 001. 3. The Deputy