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recent income tax case laws

Visakhapatnam ITAT Overturns Addition Under Section 69A When Taxpayer Adequately Explains the Source of Cash Deposit

3 May 2024 by Adv Aditya Narayan
itat

ITAT Visakhapatnam Ruling in case of Konathala Nooku Naidu verses ITO/ case No. I.T.A. No.269/Viz/2023 In a recent decision, the Visakhapatnam Income Tax Appellate Tribunal (ITAT) has ruled in favour of a taxpayer, directing the deletion of an addition made …

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ITAT Chennai Removes IT Sections 69A & 69C Additions and Dismissed the Appeal of Revenue

24 February 2024 by Adv Aditya Narayan
itat

ITAT emphasized the importance of procedural correctness and evidentiary standards in tax assessments The recent ruling by the Income Tax Appellate Tribunal (ITAT) Chennai has brought relief to Prakash Ferrous Industries Private Limited (I.T.A No.623/Chny/2023), dismissing the appeal by the …

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Kolkata ITAT Favors Tax Exemption for Educational Income under Section 10(23C)(vi)

3 February 202431 January 2024 by Adv Aditya Narayan
exemption

ITAT Kolkata: Income Tax Exemption under Section 10 (23C)(vi) Allowed on Gross Receipts Including Rental Income I-T Exemption on Educational Income: In a recent decision on 1.12.23, the Kolkata bench of the Income Tax Appellate Tribunal (ITAT), in Case no.498/Kol/2023, …

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Criteria for Invocation of Section 69A of Income Tax Act Clarified in a Recent Ruling of Delhi High Court

3 January 202421 December 2023 by Adv Aditya Narayan
section 69a

Section 69A cannot be Invoked if Books of Accounts are not Maintained: Delhi High Court In a significant ruling on December 12, 2023, the Delhi High Court delivered a landmark judgement on Section 69A invocation criteria, in the case of …

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Featured Post

  • RBI’s New Gold Loan Draft Guidelines: Key Rules, Exemptions for Small
  • No Relief for Patanjali: Allahabad High Court Upholds ₹273.5 Crore GST Penalty
  • Delhi High Court Refers Key Income Tax Reassessment Issue on Foreign Assets to Larger Bench
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  • ITR Filing for AY 2025–26: Why Reconciling GST and Income Tax Data is Now More Crucial Than Ever

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