Sponsored
    Follow Us:

Case Law Details

Case Name : Indus Holidays & Tours India (P) Ltd. Vs DCIT (ITAT Indore)
Related Assessment Year : 2007-08 to 2013-14
Become a Premium member to Download. If you are already a Premium member, Login here to access.
Sponsored

Indus Holidays & Tours India (P) Ltd. Vs ACIT (ITAT Indore)

Conclusion: AO was not justified in adding the entire suppressed receipts after rejection of books of accounts while making assessment u/s 153A as CIT(A) was fair enough to apply 2% of net profit rate on the alleged suppressed receipts by taking basis of net profit rate disclosed by the assessee for various assessment years which ranges from 0.5% to 2.05%.

Held: During the course of search u/s

Please become a Premium member. If you are already a Premium member, login here to access the full content.

Sponsored

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Your email address will not be published.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 *

Sponsored
Sponsored
Ads Free tax News and Updates
Sponsored
Search Post by Date
March 2025
M T W T F S S
 12
3456789
10111213141516
17181920212223
24252627282930
31