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4 results for “TDS”+ Section 153Dclear

Sorted by relevance

Delhi130Cochin57Mumbai39Jaipur35Chandigarh33Bangalore18Agra14Lucknow8Patna7Nagpur7Dehradun5Pune4Hyderabad4Visakhapatnam3Ahmedabad2Karnataka2Chennai1Kolkata1

Key Topics

Section 69A9Section 153A6Section 1446Addition to Income4Section 132A3Section 1483Business Income3Unexplained Money3Limitation/Time-bar3Section 142(1)

INCOME TAX OFFICER, PUNE vs. SAGAR CONSTRUCTION COMPANY, PUNE

In the result, the appeal filed by the Revenue is dismissed and the CO filed by the assessee is allowed

ITA 1812/PUN/2025[2017-18]Status: DisposedITAT Pune08 Jan 2026AY 2017-18

Bench: Shri R. K. Panda & Ms. Astha Chandraassessment Year : 2017-18

For Appellant: Shri Suhas Bora and Riya OswalFor Respondent: Shri S. Sadananda Singh, JCIT
Section 142(1)Section 143(1)Section 147Section 148Section 269SSection 37Section 68

TDS certificates / 15G forms for verification. The assessee filed an application for admission of additional evidences under Rule 46A before the Ld. CIT(A) / NFAC. The invocation of 6 CO No.43/PUN/2025 provisions of section 115BBE of the Act was also challenged before the Ld. CIT(A) / NFAC. 8. Based on the arguments advanced by the assessee

2

PRASAD RAMCHANDRA PATIL,URAN, PANVEL vs. ITO WARD 3, PANVEL, PANVEL

Accordingly, the grounds raised by the assessee are allowed for statistical purposes

ITA 2338/PUN/2024[2014-15]Status: DisposedITAT Pune18 Feb 2026AY 2014-15

Bench: Shri R.K. Panda & Ms. Astha Chandra

For Appellant: Shri Prakash PanditFor Respondent: Shri Amit Bobde
Section 132ASection 144Section 153ASection 69A

section 69A has no application. Reply: During assessment proceedings, the assessee avoided to comply to the show cause notice. Therefore, in absence of any explanation, the AO was compelled to complete the assessment on the basis of information available on record before the limitation of time which would have got time barred on 31/12/2018. 13. In para 20, the assessee

PRASAD RAMCHANDRA PATIL,URAN, PANVEL vs. ITO - WARD 3, PANVEL, PANVEL

Accordingly, the grounds raised by the assessee are allowed for statistical purposes

ITA 2339/PUN/2024[2015-16]Status: DisposedITAT Pune18 Feb 2026AY 2015-16

Bench: Shri R.K. Panda & Ms. Astha Chandra

For Appellant: Shri Prakash PanditFor Respondent: Shri Amit Bobde
Section 132ASection 144Section 153ASection 69A

section 69A has no application. Reply: During assessment proceedings, the assessee avoided to comply to the show cause notice. Therefore, in absence of any explanation, the AO was compelled to complete the assessment on the basis of information available on record before the limitation of time which would have got time barred on 31/12/2018. 13. In para 20, the assessee

PRASAD RAMCHANDRA PATIL,URAN, PANVEL vs. ITO WARD 3, PANVEL, PANVEL

Accordingly, the grounds raised by the assessee are allowed for statistical purposes

ITA 2340/PUN/2024[2017-18]Status: DisposedITAT Pune18 Feb 2026AY 2017-18

Bench: Shri R.K. Panda & Ms. Astha Chandra

For Appellant: Shri Prakash PanditFor Respondent: Shri Amit Bobde
Section 132ASection 144Section 153ASection 69A

section 69A has no application. Reply: During assessment proceedings, the assessee avoided to comply to the show cause notice. Therefore, in absence of any explanation, the AO was compelled to complete the assessment on the basis of information available on record before the limitation of time which would have got time barred on 31/12/2018. 13. In para 20, the assessee