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Pradeep Trust Vs. Commissioner of Income Tax

Decided On : Jun-14-2010

Court : Kolkata

LAW: Section 260A, Section 3(1)(f, the Income Tax Act, the Income Tax Act 1961?2, Section 147/148, the Income Tax Act, Section 148?4, Section 3(1)(f, the Income Tax Act, the Income Tax Act 1961?5, Section 147 of the Act, Section 147, Section 147 of the Act, Section 147, Section 3 of the Act, Section 3(1)(f, Section 147 of the Act, Section 148, Section 3(1)(f, the Income Tax Act, the Income Tax Act 1961.15, Section 3 of the Act, the Insurance Act, Section 43, the Appeal of M/s. Sancheti Enterprises, Section 3(1)(f, Section 3(1)(f, Section 147 of the Act, Section 147, Section 147 of the Act

PERSON: Bhaskar Bhattacharya, Dewali, Ashoke Sancheti, Ashoke Sancheti, Khaitan, Khaitan, Khaitan, Lady Kanchanbai, Khaitan, Khaitan, Khaitan, Khaitan, Khaitan, Bhowmik, Khaitan, Bhowmik, Bhowmik, Bhowmik, Bhowmik, Bhowmik, or(g, M.P. v. Lady Kanchanbai, Ashoke Sancheti, Bhowmik, negative.22, Khaitan

NORP: J.1, Branch, Branch, Branch, Branch

CARDINAL: two, two, 15, 16, two, two, 1981.2, 60:40, 10:90, 1981.3, one, 45,000, 1982.6, 169, 5, 1, 31-3-82, 31, 1, 31-3-82, 17-8-83, 22-11-83, two, 2, only one, only one, 3, 77, only one, 1, 4, 31, 1956).(2, 1, 1, two, 691, 1982.18, two, 121, 458, 285, 345

DATE: 1961, 2002, year 1982-83, 2002, year 1983-84, 2002, July 18, 1978, the Assessment year 1982-83, the previous year, year ended October 27, April 2, 1979, January 2, 1981, the previous year, December 31, April 1, 1981, the financial year, December 31, 1981, January 1, 1982, that day, previous year, the calendar year, previous year ended, December 31, 1981, Assessment year, the previous year, March 31, 1982, the previous year, December 31, 1981, the year 1983-84, December 31, 1982, the financial year ended March 31, the financial year ended on March 31, 1983, December 31, 1983, year 1982-83, September 23, 1988, the Assessment year 1982-83, previous year, the calendar year ended December 31, 1982, March 31, 1982, 45,000/- a month, April 1, 1981 to, December 31, 1981, the accounting year, year 1982-83, 1983-84, years, years 1983-84, 1984-85, April 1, 1981 to March 31, 1982, March 31, 1995, the Assessment year 1982-83, previous year, March 7, 1996, September 23, 1988, March 31, 1995, the Assessment year 1983-84, 45,000/- a month, six months, April 1, 1982 to September 30, 1982, the Assessment year 1983-84.15, March 31, 1995, April 1, 1989, previous year, September 23, 1988, 1970, previous years, September 23, 1988, monthly, December 31, 1981, previous year, the Assessment year 1982-83.12, the next year, the financial year, the twelve months ending, the twelve months, twelve months, the previous year, the year, annual, 1938, 1956, the assessment year, twelve months, no previous year, year, assessment year, previous years, 'previous year', April 1, 1981, 45,000/- a month, January 1, 1982, the last day, the accounting year, the next Assessment year, March 31, 1982, the last day, the previous year, March 31, September 23, 1988, December 31, 1981, 1980, 2006, the year 1983-84, August 17, 1983, November 21, 1983, September 23, 1988

ORG: the Income Tax Appellate, Tribunal, the Income Tax Appellate Tribunal, Tribunal, M/s. Sancheti Enterprises, M/s. Contemporary Tea Company Ltd, Sancheti Enterprises Service Department', Contemporary Tea Company Ltd., M/s. Sancheti Enterprises, Sancheti Enterprises, 'Association of Persons' for the Assessment, M/s. Sancheti Enterprises, Branch, M/s. Sancheti Enterprises, M/s. Sancheti Enterprises, Branch, Branch, the Assessee and M/s. Sancheti Enterprises, Income Tax (Appeal, Sancheti Enterprises, Association of Persons', Branch, Assessing, M/s. Sancheti Enterprises, M/s. Contemporary Tea Co. Ltd., the Commissioner of Income Tax (Appeal, M/s. Pradeep Trust, Sancheti Enterprises (Service Department, M/s. C.T.C Ltd., the Service Department, the Service Department, M/s. Pradeep Trust, the Service Department, the Service Department, M/s. Pradeep Trust, M/s. Pradeep Trust, M/s. C.T.C. Ltd., the Supreme Court, M/s. Pradeep Trust, M/s. C.T.C Ltd., M/s. Pradeep Trust, M/s. C.T.C Ltd., M/s. Pradeep Trust, Assessing, Branch, Assessing, the Commissioner of Income Tax (Appeal, Income Tax (Appeals, the Commissioner of Income Tax, Tribunal, Assessing, M/s. Contemporary Tea Co. Ltd., Income Tax (Appeals, Tribunal, Tribunal, Appellant, Assessing, the Commissioner of Income Tax (Appeals, the Supreme Court, CIT, SC, Department, M/s. Contemporary Tea Co. Ltd., Tribunal, Section 2(31, the Partnership and the Association of Persons, Tribunal, Tribunal, M/s. Sancheti Enterprises, Consolidated Tea Co. Ltd., the Commissioner of Income Tax, WB-IV/Cal, Sancheti Enterprises Service Department, M/s. Sancheti Enterprises, an 'Association of Persons', M/s. Sancheti Enterprises, Tribunal, the 'Association of Persons', Board, Board, or(d, the Life Insurance Corporation Act, the Apex Court, AIR 1970, SC, Contemporary Tea Co. Ltd, M/s. Sancheti Enterprises, the Sancheti Enterprises, the Commissioner of Income Tax (Appeals, the Revenue Authority, Tribunal, M/s. Sancheti Enterprise, an 'Association of Persons', the 'Association of Persons', Association, Association, Association, Registered Partnership Firm, Firm, Tribunal, CIT v. Mckenzies Ltd., CIT, Greenham Estate P. Ltd., Tribunal, Income Tax (Appeals, Contemporary Tea Co. Ltd., Assessing, Contemporary Tea Co. Ltd., M/s. Sancheti Enterprise, the Commissioner of Income Tax (Appeals, ITA No, Tribunal, the Commissioner of Income Tax

GPE: Assessee, Assessee, Assessee, Siliguri, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Siliguri, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee, Assessee

ORDINAL: first, first, First, Secondly, first, first, first, second, second

PRODUCT: Assessment, Assessment, Assessment

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