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2 results for “TDS”+ Section 140A(3)clear

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Key Topics

Section 276C5Section 2444Section 2412

M/S K LAKSHMANYA AND COMPANY vs. COMMISSIONER OF INCOME TAX

The appeal is dismissed in terms of the signed order

C.A. No.-004335-004335 - 2012Supreme Court01 Nov 2017

Bench: HON'BLE MR. JUSTICE ROHINTON FALI NARIMAN

Section 241Section 244

3 was dismissed. However, in appeal to the High Court, by the impugned judgment dated 09.12.2009, the High Court of Karnataka held that, since waiver of interest was within the discretion of the Settlement Commission, no right flowed to the assessee to claim refund as a matter of right under law. In the aforesaid circumstances, the judgments of the Tribunal

VINUBHAI MOHANLAL DOBARIA vs. CHIEF COMMISSIONER OF INCOME TAX

The appeal is disposed of in the aforesaid terms

C.A. No.-001977-001977 - 2025Supreme Court07 Feb 2025

HON'BLE MR. JUSTICE J.B. PARDIWALA

Bench:
Section 143(1)Section 276C

3 stipulates the authorities who are authorised to compound the offences in exercise of the power conferred under Section 279(2). 55. Paragraph 4 of the 2014 guidelines provides that compounding of offences is not a matter of right of the assessee. However, the offences SLP (C) NO. 20519 of 2024 Page 42 of 59 may be compounded