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Section 142 - Judgment Search Results

Home > Cases Phrase: section 142 Year: 2002 Page 1 of about 35,091 results (0.195 seconds)
Oct 23 2002 (TRI)

Sheraton International Inc. Vs. Deputy Commissioner of

Court: Income Tax Appellate Tribunal ITAT Delhi

Decided on: Oct-23-2002

Reported in: (2003)85ITD110(Delhi)

..... of this order the relevant portion of section 142 1 is being reproduced as under section 142 1 for the purpose of making an ..... a return within the time allowed under sub section 1 of section 139 contained in section 142 1 z therefore in our considered opinion such ..... satyanarayan bhalotia supra proceeding further he submitted that provisions of section 142 1 are in the nature of power conferred on the .....

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Sep 13 2002 (TRI)

Mahakoshal Engineers and Vs. Assistant Commissioner of Income

Court: Income Tax Appellate Tribunal ITAT Nagpur

Decided on: Sep-13-2002

Reported in: (2003)85ITD267(Nag.)

..... the rule of time limit laid down therein except to the extent stated in section 142 2c therefore section 142 2a should be applied in it s undiluted form disregarding the consequences a reading ..... is that the formality of extending the period of limitation as contemplated by sub section 2c of section 142 is directory and not mandatory 11 we have considered the rival submissions we shall .....

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May 31 2002 (HC)

Shiv Kant and Bros. and ors. Vs. Union of India (Uoi)

Court: Rajasthan

Decided on: May-31-2002

Reported in: (2003)184CTR(Raj)534; [2004]270ITR499(Raj)

..... it is true that the power has been exercised under sub section 2a of section 142 of the act but it is equally true that so ..... factors which were required to be borne in mind under sub section 2a of section 142 of the act it is no doubt true in the ..... of the petitioners firms on the stocks available the exercise undertaken under section 142 2a will be of substantial assistance and thus case of the .....

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Sep 09 2002 (HC)

Bata India Ltd. and anr. Vs. Commissioner of Income-tax and ors.

Court: Kolkata

Decided on: Sep-09-2002

Reported in: (2003)1CALLT598(HC),(2003)179CTR(Cal)147,[2002]257ITR622(Cal)

..... such special audit if the facts and circumstances warrant a special audit under section 142 2a of the act 15 section 142 2a of the act has been the subject matter of construction by ..... extracted the central board of direct taxes instructions regulating the discretion conferred by sub section 2a of section 142 being instruction no 1076 dated july 12 1977 and observed that these guidelines are .....

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May 29 2002 (TRI)

Dr. K.C. Verma Vs. Assistant Commissioner of

Court: Income Tax Appellate Tribunal ITAT Delhi

Decided on: May-29-2002

Reported in: (2003)84ITD33(Delhi)

..... of assessee s counsel it would be useful to reproduce the relevant provisions of sections 142 and 143 section 142 1 for the purpose of making an assessment under this act the assessing officer ..... my considered opinion after the expiry of the period mentioned in sub section 2 of section 143 no notice under section 142 1 can be issued because of the lack of power to assess .....

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Sep 26 2002 (HC)

Vijay Mallya Vs. Assistant Commissioner, Income Tax and ors.

Court: Kolkata

Decided on: Sep-26-2002

Reported in: (2003)1CALLT530a(HC),(2003)185CTR(Cal)233

..... furnish the details called for your stand itself was contradictory and violative of provisions of section 142 1 wherein assessing officer is empowered to call for full information in respect of income ..... of the assessing officer which confers jurisdiction upon the assessing officer to issue notice under section 142 1 of the said act asking for production of document and detail information i am .....

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May 10 2002 (TRI)

Smt. Sudhadevi Modi Vs. Assistant Commissioner of

Court: Income Tax Appellate Tribunal ITAT Mumbai

Decided on: May-10-2002

Reported in: (2003)84ITD604(Mum.)

..... a tabular statement along with the written submissions showing the requirements of the notice under section 142 1 and the assessee s response thereto d the assessing officer has given no independent ..... argued that the assessee had responded to the notice issued by the assessing officer under section 142 1 by furnishing complete details and evidence in support of the claim of soyabean cultivation .....

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Oct 23 2002 (TRI)

Ambeshwar Grih Nirman Sahkari Vs. Deputy Commissioner of Income Tax

Court: Income Tax Appellate Tribunal ITAT Jaipur

Decided on: Oct-23-2002

Reported in: (2003)84ITD139(JP.)

..... same is therefore rejected 5 as regards service of notice under section 142 1 dt 3rd april 1998 which accordingly to the ao ..... operated in the assessment proceedings neither got its accounts audited under section 142 2a and nor filed the return of income as required ..... as also on the question of getting the accounts audited under section 142 2a 18 in support of the numerous arguments advanced reliance .....

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Feb 18 2002 (HC)

S.P. Sampathy Vs. Smt. Manju Gupta and anr.

Court: Andhra Pradesh

Decided on: Feb-18-2002

Reported in: 2002(1)ALT(Cri)497; [2002]111CompCas492(AP); 2002CriLJ2621; [2003]44SCL25(AP)

..... the complaint who could be a holder in terms of section 8 read with section 142 of the negotiable instruments act but those questions do not ..... by the payee but it was not signed by the payee section 142 a of the negotiable instruments act lays down that the court ..... hereinabove 3 we are of the considered view that the complaint under section 142 can be filed either by the payee or the holder thereof .....

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Nov 11 2002 (HC)

Rbf Nidhi Limited and anr. Vs. State of A.P. and ors.

Court: Andhra Pradesh

Decided on: Nov-11-2002

Reported in: 2003(1)ALD(Cri)996; 2003(1)ALT(Cri)198; II(2003)BC173; [2003]44SCL40(AP)

..... it is necessary to have a look at section 142 of the negotiable instruments act 8 section 142 of the negotiable instruments act reads as under ..... the sworn statement of defacto complainant at whose instance provisions of section 142 of n i act are invoked b if more than ..... separately though cognizance might be taken on a common complaint under section 142 of n i act d the magistrate shall insist on .....

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