Rendering - Judgment Search Results
Home > Cases Phrase: rendering Sorted by: recent Year: 2001 Page 1 of about 579 results (0.056 seconds)Deepak Lohia Vs. Kamrup Developers (P.) Ltd.
Court: Company Law Board CLB
Decided on: Dec-31-2001
1 the main complaints of the petitioner in regard to the affairs of kamrup developers p ltd the company are...
Tag this Judgment! Ask ChatGPTRomesh Lal Mottan and ors. Vs. State and ors.
Court: Jammu and Kashmir
Decided on: Dec-31-2001
Reported in: 2002CriLJ3386
..... in one of the petition i e 859 2000 be noticed as under petitioner after rendering 16 years of service in the indian army retired as havildar on 1st oct 93 .....
Tag this Judgment! Ask ChatGPTAsstt. Cit Vs. Rajendra Mulak
Court: Income Tax Appellate Tribunal ITAT Nagpur
Decided on: Dec-31-2001
Reported in: (2002)77TTJ(Nag.)524
..... arriving at this conclusion in this regard he pointed out that the said decision was rendered by the hon ble punjab amp haryana high court in respect of assessment year 1970 .....
Tag this Judgment! Ask ChatGPTAssistant Commissioner of Income Vs. Rajendra Mulak
Court: Income Tax Appellate Tribunal ITAT Nagpur
Decided on: Dec-31-2001
Reported in: (2002)83ITD670(Nag.)
..... arriving at this conclusion in this regard he pointed out that the said decision was rendered by the hon ble punjab amp haryana high court in respect of asst yr 1970 .....
Tag this Judgment! Ask ChatGPTMadhuvana House Building Vs. Asstt Cit
Court: Income Tax Appellate Tribunal ITAT
Decided on: Dec-31-2001
Reported in: (2002)76TTJ(Bang.)948
..... 142 2a of the income tax act 1961 the period taken by the auditor to render his report under section 142 2a is required to be excluded while computing the period .....
Tag this Judgment! Ask ChatGPTMadhuvana House Building Vs. Assistant Commissioner of Income
Court: Income Tax Appellate Tribunal ITAT
Decided on: Dec-31-2001
..... under section 142 2a of the it act 1961 the period taken by the auditor to render his report under section 142 2a is required to be excluded while computing the period .....
Tag this Judgment! Ask ChatGPTSubhash Arora Vs. Assistant Commissioner of Income
Court: Income Tax Appellate Tribunal ITAT Delhi
Decided on: Dec-31-2001
Reported in: (2002)82ITD345(Delhi)
..... take into consideration the decision of the apex court which was rendered much earlier in 1991 the learned counsel reiterated the stand taken ..... transfer the relevant observations of the apex court in this decision rendered by three judges are as under we have given careful ..... on account of transfer to so read the expression is to render it ineffective and its use meaningless as we read it therefore .....
Tag this Judgment! Ask ChatGPTSubhash Arora Vs. Assistant Commissioner of
Court: Income Tax Appellate Tribunal ITAT Delhi
Decided on: Dec-31-2001
..... take into consideration the decision of the apex court which was rendered much earlier in 1991 the learned counsel reiterated the stand taken ..... transfer the relevant observations of the apex court in this decision rendered by three judges are as under we have given careful ..... on account of transfer to so read the expression is to render it ineffective and its use meaningless as we read it therefore .....
Tag this Judgment! Ask ChatGPTP.V.R. Bhaskar Rao Vs. Andhra Pradesh Administrative Tribunal, Hyderab ...
Court: Andhra Pradesh
Decided on: Dec-31-2001
Reported in: 2002(2)ALD21; 2002(3)ALT101
..... during the course of his employment albeit due to his negligence but law does not render him remediless statutory right is conferred on him accruing by virtue of his employment under .....
Tag this Judgment! Ask ChatGPTCommissioner of Income Tax Vs. Dayawati Modi
Court: Delhi
Decided on: Dec-31-2001
Reported in: 2002IIIAD(Delhi)623; 97(2002)DLT170
..... in the first instance was that of the assesse shri g m modi and decision rendered on 12 12 1974 the reference cases which have arisen out of that are itrs .....
Tag this Judgment! Ask ChatGPT- << Prev.
- Next >>
Sign-up to get more results
Unlock complete result pages and premium legal research features.
Start Free Trial