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5 results for “section 68”+ Section 10(5)clear

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Key Topics

Addition to Income3Section 41(1)2Section 54F2Section 260A2Exemption2

PR. COMMISSIONER OF INCOME TAX-I, JALANDHAR vs. JOGINDER SINGH CHATHA

ITA/25/2023HC Punjab & Haryana07 Nov 2023

Bench: MR. JUSTICE GURMEET SINGH SANDHAWALIA,MS. JUSTICE HARPREET KAUR JEEWAN

Section 260A

5. The defence as such in response to the notice dated 22.12.2014 issued under Section 142 (1) of the Act was that he had visited U.K three times in the year 1985, 2006 and 2012 and had not opened any type of account in the U.K or any other country. He was an agriculturist and totally illiterate and permanent

THE COMMISSIONER OF INCOME TAX NEW DELHI vs. MANJIT SINGH BAIDWAN

ITA/59/2023HC Punjab & Haryana09 May 2024

Bench: MR. JUSTICE SANJEEV PRAKASH SHARMA,MRS. JUSTICE SUDEEPTI SHARMA

Section 54F

5 h a w 0 h fo in d J (s is S &M) and the Chandigarh Bench of the Shri Jaswinder Singh Lota Vs Chd/2015 AY 2008-09, there is no he Id. CIT(A) to interfere with th he rival submissions of the pa material on record including the c Id. counsel

OM PARKASH vs. COMMISSIONER OF INCOME TAX-1 AAYAKAR BHAWAN JALANDHAR

ITA/338/2019HC Punjab & Haryana30 Mar 2022

Bench: MR. JUSTICE TEJINDER SINGH DHINDSA,MR. JUSTICE PANKAJ JAIN

Section 133(6)Section 145(3)Section 41(1)Section 41(1)(a)Section 44A

68,859,00 Cr. Total 4,60,581.00 Cr. 5. In the absence of any confirmation from the above parties, it was held that the trading liability amounting to Rs.4,60,581/- had ceased to exist as per provisions of Section 41(1) of the Income Tax Act, 1961 and addition of Rs.4,60,581/- was made

THE COMMISSIONER OF INCOME TAX EXEMPTIONS CHANDIGARH vs. M/S VISHAV MANAV RUHANI KENDRA

ITA/133/2021HC Punjab & Haryana20 Oct 2023

Bench: MR. JUSTICE GURMEET SINGH SANDHAWALIA,MS. JUSTICE HARPREET KAUR JEEWAN

Section 11(1)(d)Section 260A

68. It was further recorded by the Appellate Authority that the appellant was able to give particulars of persons who had donated the amounts and the donors were never examined by the Assessing Officer to prove otherwise and there was nothing to show that the specific direction to the donor had to be in writing as to how the donations

RANJIT SINGH GHUMAN vs. C I T

ITA/216/2007HC Punjab & Haryana17 May 2024

Bench: The Revenue Authorities That A Sum Of ` 5,00,000/- Was Still Due To Be Paid & Varinder Singh 2024.05.21 13:43 I Attest To The Accuracy & Authencity Of This Order/Judgment

Section 158

Section 158 BC (c) on 26.02.2002 by the CIT, Jalandhar and while making other VARINDER SINGH 2024.05.21 13:43 I attest to the accuracy and authencity of this order/judgment ITA No. 216 of 2007 -3- additions, ` 5,00,000/- have been added as undisclosed investment made to acquire the rights of his sister-in-law in the family property