Courts: ITAT Delhi
Find latest ITAT Delhi judgments, orders and case laws on income tax covering assessments, transfer pricing, international taxation, deductions, TDS, reassessment and penalties.

ITAT Delhi Quashes Additions Beyond Six-Year Limit Under Section 153C

Search Assessment Barred: Limitation Period Starts When AO Gets Seized Papers

ITAT Delhi: Section 50C Inapplicable to Buyer in Slump Sale – Goodwill Depreciation Allowed, Non-Compete Fee Disallowed

ITAT Delhi Deletes Penalty for Non-Compliance Where Notice Not Served on NRI

ITAT Delhi Dismisses Tax Appeals as IBC Proceedings Override Income Tax Act

ITAT Delhi Quashes 43 Search Assessments for Mechanical 153D Approvals

Charitable Trusts Not Claiming Section 11 Exemption Taxable at Normal Slab Rates

Cinepolis Settlement Compensation is Non-Taxable Capital Receipt: ITAT Delhi

ITAT Delhi Holds Assessment Beyond Six-Year Limit Invalid Under Section 153C

No Black Money Liability When Assets Belong to Foreign Partner: ITAT Delhi

Section 153C: Block Period to Be Counted from Date of Material Receipt, Not Date of Search

No Enduring Benefit in Routine Telecom Expenses: ₹169 Cr Customer Acquisition Cost allowed

Payments to Partner NGOs is Application of Income: ₹1.89 Cr Addition Deleted by ITAT Delhi

₹6.88 Crore Additions Invalid as Reassessment Void Without 143(2) Notice: ITAT Delhi
ITAT Delhi judgments and orders constitute a substantial body of appellate case law under the Income-tax Act. This page compiles ITAT Delhi decisions concerning assessments, additions, deductions, exemptions, business income, capital gains, transfer pricing, international taxation, TDS, reassessment, unexplained income, penalties, limitation and procedural disputes. Companies, individuals, Chartered Accountants, advocates and tax professionals can use this collection to research Tribunal precedents relevant to income-tax matters. TaxGuru brings together recent and significant earlier ITAT Delhi judgments and orders, providing a convenient resource for following developments in direct tax jurisprudence and researching recurring issues arising in assessments and appeals.
