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The Commissioner of Income Tax-8 Vs. M/s. Shantivijay Jewels Ltd.

Decided On : Apr-07-2015

Court : Mumbai

LAW: section 10A, the Income Tax Act, section 10A, the IT Act, section 260A, the IT Act, section 10A, the IT Act, the IT Act, the Finance Act, section 139, section 33B, Explanation 1 and Explanation 2, section 32, section 33, section 35, section 36, section 32, section 33, section 35, section 36, section 72, section 74, section 80IA, section 32, section 2, section 139, the Finance Act, the Finance Act, the Finance Act, section 10A, section 72

PERSON: S.C. Dharmadhikari, Pinto, Pinto, Pinto, Joshi

CARDINAL: 1, 2, 3., 10A, 10A, 10A, 4, 4, 10A, 4, 5, 5., 325, 102, 6., 6, 1, 1A, 1, 1B, 1, 1B, 1A, 1C, 1B, 1B, 1B, 2, 2, 3, 2, 4, 1, 1A, 5, 2, 6, 1, 3, 2, 4, 1, 1, 1, 3, 8), 10, 7A, 7B, 8), 1, 9, 1-4-2004, 9A, 1-4-2004, 14, 3, 8, 6, 1, 1, 3, 9, 5, 4(a, 10, 6, 2, 2.1, 2.3, 2.3, two, two

ORG: These Appeals of the Revenue, the Income Tax Appellate Tribunal, Assessing, the Commissioner of Income Tax (Appeals, the Appeal of the Assessee, Court, Tribunal, Tribunal, Tribunal, Court, Income Tax, Galaxy Surfactants Ltd., Tribunal, Tribunal, Court, Hindustan Unilever Limited, ITR, Black, Veatch Consulting Pvt. Ltd., ITA No., Tribunal, Tribunal, Tribunal, Tribunal, the Central Board of Direct Tax, the Special Economic Zone Reinvestment Allowance Reserve Account, the Special Economic Zone Reinvestment Allowance Reserve Account, the Reserve Bank of India, the Reserve Bank of India, Board, the Reserve Bank of India, the Foreign Exchange Management Act, the Electronic Hardware Technology Park, the Government of India, the Ministry of Commerce and Industry, the Kandla Free Trade Zone, the Santacruz Electronics Export Processing Zone, the Central Government, Software, the Government of India, the Ministry of Commerce and Industry, the Central Government, Tribunal, Tribunal, Tribunal, Tribunal, Income Tax Appeal No, Tribunal, Court, Division, Court

DATE: today, 16th November, 2012, 2013, year, 2005-06, this assessment year, 27th October, 2005, 1961, 20th February, 2006, year 2002-03, 30th November, 2007, the year, the first assessment year, the tax holiday period, year 2002-03, the assessment, 2003-04, 2004-05, year 2005-06, 16th August, 2010, the assessment years, the assessment year 2005-06, year 2002-03, year 2001, 2005, 2003, the assessment year 2001-02, 2003, ten consecutive assessment years, the previous year, 2000, ten consecutive assessment years, ten consecutive assessment years, the previous year, the assessment year, the 1st day of April, 2003, the assessment year, the 1st day of April, 2012, the previous year, year, the 1st day of April, 2003, five consecutive assessment years, the previous year, two consecutive assessment years, the next three consecutive assessment years, the previous year, three years, the previous year, the previous year, the year, the year, the period of, three years, the previous year, the 1st day of April, 1981, the 1st day of April, 1994, the 1st day of April, 2001, a period of, six months, the previous year, the 1st day of April, 2001, the previous year, years, any previous year, year, years ending before the 1st day of April, 2001, the previous year, year, such previous year, years ending before the 1st day of April, 2001, the previous year, 2005, the previous year, the 1st day of April, 2006, years, 2003, 2003, 2003, 1999, 42 of 1999, ten consecutive assessment years, ten consecutive assessment years, the previous year, the previous year, years, year, years, 1st April, 2004, the 1st day of April, 1376, 2013, year 2004-05

GPE: Assessee, Act”, Assessee, Assessee, Assessee, Assessee, Mumbai, Assessee, Mumbai, Assessee, Assessee, Assessee, India, India, India, India, India, India, India, India, India, India, India, India, India, Assessee, Assesee, Assessee

FAC: 5th September,, the Official Gazette, the Official Gazette

MONEY: ninety per cent, fifty per cent, fifty per cent, section 74 insofar

ORDINAL: first, first, second

NORP: Indian, Indian

PRODUCT: Circulars

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