Follow Us:

Case Law Details

Case Name : Omnitel Technologies Pvt. Ltd. Vs ITO (ITAT Delhi)
Related Assessment Year : 2014-15
Become a Premium member to Download. If you are already a Premium member, Login here to access.
Omnitel Technologies Pvt. Ltd. Vs ITO (ITAT Delhi) Whether, the addition on account of alleged bogus purchases of capital assets could be sustained merely on the basis of information received from the Investigation Wing, despite the assessee having furnished complete documentary evidences such as invoices, transportation documents, bank statements, loan agreements and insurance policies evidencing actual purchase and existence of such assets. Facts of the Case:The assessee company was engaged in providing telecom services to Government authorities and had purchased certain fixed assets which w...
This is premium content. Please become a Premium member. If you are already a member, login here to access the full content.

Author Bio

Ajay Kumar Agrawal FCA, a science graduate and fellow chartered accountant in practice for over 26 years. Ajay has been in continuous practice mainly in corporate consultancy, litigation in the field of Direct and Indirect laws, Regulatory Law, and commercial law beside the Auditing of corporate and View Full Profile

My Published Posts

Addition Deleted Due to Lack of Corroborative Evidence in Search-Based Case ITAT Deletes Additions as Bogus Purchases Cannot Be Based on Suspicion Without Evidence Machinery Replacement creating enduring benefit constitutes capital expenditure: Madras HC Condonation Denial Invalid as CBDT Circular Cannot Be Applied Restrictively: Delhi HC Section 69C Addition Deleted as Purchases Supported by Documentary Evidence View More Published Posts

Join Taxguru’s Network for Latest updates on Income Tax, GST, Company Law, Corporate Laws and other related subjects.

Leave a Comment

Your email address will not be published. Required fields are marked *

Ads Free tax News and Updates
Search Post by Date
April 2026
M T W T F S S
 12345
6789101112
13141516171819
20212223242526
27282930