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5 results for “disallowance”+ Section 801A(3)(ii)clear

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Key Topics

Section 143(1)10Section 80I7Section 143(2)7Deduction5Section 143(3)4Section 80P4Addition to Income4Limitation/Time-bar3Section 143(1)(a)2

ACIT, RANGE-I, LUCKNOW vs. M/S APCO INFRATECH PVT. LTD., LUCKNOW

ITA 454/LKW/2020[2017-18]Status: DisposedITAT Lucknow02 Apr 2025AY 2017-18

Bench: Shri Anadee Nath Misshra & Shri Subhash Malguria

Section 143(1)Section 143(2)Section 143(3)Section 80I

disallowed. In view of the above discussion and judicial precedents clearly establish that for income to qualify for deductions under Section 801A, it must be directly derived from the eligible business activity. Interest earned on surplus funds or FDRs does not meet this criterion. The interest income is incidental and not a direct result of the core business operations

M/S. APCO INFRATECH PVT. LTD.,,LUCKNOW vs. ACIT-I, LUCKNOW

In the result, appeals vide I

ITA 357/LKW/2020[2017-18]Status: Disposed
ITAT Lucknow
02 Apr 2025
AY 2017-18
Section 143(1)Section 143(2)Section 143(3)Section 80I

ii): Disallows a portion of administrative expenses incurred in\nrelation to managing the investments.\n\nRule 8D(2)(iii): Disallows a portion of other expenses incurred in relation to\nexempt income.\n\nThe submission of the assessee that no dividend income was earned from\nthe SPVs is irrelevant in view of the above judicial pronouncements and CBDT\ncircular nol. 05/2014

ACIT, RANGE-I, LUCKNOW vs. M/S APCO INFRATECH PVT. LTD.,, LUCKNOW

ITA 453/LKW/2020[2016-17]Status: DisposedITAT Lucknow02 Apr 2025AY 2016-17

Bench: Shri Anadee Nath Misshra & Shri Subhash Malguria

Section 143(1)Section 143(2)Section 143(3)Section 80I

801A on account of interest earned should be disallowed. Ground of Appeal Point No. 3 on the facts and in the circumstances of the case, the Ld. Commissioner of Income Tax (Appeals) has erred in law in failing to appreciate that the impugned order of assessment is itself bad in Law, being time barred by limitation and therefore liable

VIDYUT TRANSMISSION KARMACHARI VETAN BHOGI CREDIT COOPERATIVE SOCIETY,LUCKNOW vs. CPC BANGALORE/ITO-2(1), LUCKNOW

Appeal of the assessee is partly allowed for statistical

ITA 464/LKW/2025[2019-20]Status: DisposedITAT Lucknow19 Dec 2025AY 2019-20

Bench: Shri Kul Bharat & Shri Anadee Nath Misshra

Section 139(1)Section 139(4)Section 143(1)Section 143(1)(a)Section 80PSection 80P(2)(a)

801A, 801AB, 801B, 80IC, 80ID or section 80IE". Clause 34 of memorandum to Finance Bill 2021 makes it amply clear that the aforesaid amendment will take effect from 01-04-2021 and will accordingly apply for Assessment year 2021- 22 and subsequent years. Copy of Memorandum to Finance Bill 2021 w. r. t. Clause 34 is at page

ASTT. COMMISIONER OF INCOME TAX, LUCKNOW vs. M/S APCO INFRATECH PVT. LTD., LUCKNOW

In the result, appeal of the Revenue and Cross Objection of the assessee are dismissed, as indicated above

ITA 66/LKW/2017[2014-15]Status: DisposedITAT Lucknow05 Sept 2024AY 2014-15

Bench: Shri G. D. Padamahshali & Shri Subhash Malguriaassessment Year: 2014-15 The Asstt. Commissioner V. M/S Apco Infratech Pvt. Ltd Of Income Tax B-9, Vibhuti Khand Central Circle Ii Gomti Nagar Lucnow Lucknow Pan:Aadca5639H (Appellant) (Respondent) C.O. No.19/Lkw/2017 [In Ita No.66/Lkw/2017] Assessment Year: 2014-15 M/S Apco Infratech Pvt. Ltd V. The Asstt. Commissioner Of B-9, Vibhuti Khand Income Tax Gomti Nagar Central Circle Ii Lucknow Lucnow Pan:Aadca5639H (Cross Objector) (Respondent)

For Appellant: Shri Jitendra Kumar Yadav, AdvocateFor Respondent: Shri Neil Jain, CIT (DR)
Section 143(3)Section 194Section 80Section 80I

ii) operating and maintaining or (iii) developing, operating and maintaining any infrastructure facility, prior to amendment the "or" between three activities was not there, after the amendment "or" has been inserted w.e.f. 1-4-2002 by Finance Act 2001. Therefore, in our considered view, the assessee should not be denied the deduction under section 801A