PR COMMR OF INCOME TAX-2, HYDERABAD vs. K RAVINDER REDDY, HYDERABAD
ITTA/621/2017HC Telangana23 Aug 2018
Bench: RAMESH RANGANATHAN,KONGARA VIJAYA LAKSHMI
Section 260A
section. Nonetheless, as an overall matter, GE is correct
that in some instances, ITAT‟s characterization of certain conversations
appears to overstate the importance of the activities in India (for e.g. e-
mail chain on Reliance-GT Exhaust Height; e-mail chain on confirmation
of RIL PO No. DG8/3389741). Nevertheless, in many other instances,
ITAT‟s decision is sound