Itxa/252/2008 Of The Commissionerof Income-Tax,Central-Ii,Mum v. M/S Shree Dhoot Trading And Agencies Ltd
High Court
22 Sep 2008 In favour of: Unclear
Forum / Bench
High Court · newos
Parties
Itxa/252/2008 Of The Commissionerof Income-Tax,Central-Ii,Mum v. M/S Shree Dhoot Trading And Agencies Ltd
Date of order
22 Sep 2008
Assessment year(s)
—
Outcome
Other
Case summary
In Itxa/252/2008 Of The Commissionerof Income-Tax,Central-Ii,Mum v. M/S Shree Dhoot Trading And Agencies Ltd, the High Court (2008) decided the matter.
Decision: Hence all these Appeals are rejected.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
The order — as passed by the High Court
- 1 -
IN THE HIGH COURT OF JUDICATURE AT BOMBAY
O.O.C.J.
INCOME TAX APPEAL NO.252 OF 2008
AND
INCOME TAX APPEAL NO.253 OF 2008
AND
INCOME TAX APPEAL NO.579 OF 2008
-----------------------------------------------------
Office Notes, Office
Memoranda of Coram, Court’s or Judge’s
appearances, Court’s orders
order or directions
-----------------------------------------------------
¦Mr.Vimal Gupta for the Appellant.
¦Mr.F. Irani with Ms.Rajda i/b
¦DSR Associates for the Respondent.
¦
¦
¦ CORAM: D.K.DESHMUKH &
¦ J.P.DEVADHAR,JJ.
¦ DATED:22ND SEPTEMBER, 2008
P.C.:
Admittedly the income arising out of
the sale of the shares have been
assessed in the hands of Videocon
Appliances Ltd. on substantive
basis and that order has attained
finality. In view of the above,
assessing the income from the sale
of the said shares in the hands of
the assessee on substantive basis
does not arise. Hence all these
Appeals are rejected.
(D.K.DESHMUKH, J.)
- 2 -
(J.P.DEVADHAR,J.)
This page reproduces a public-domain court order (Section 52(1)(q)(iv), Copyright Act 1957). Explanations are EaseValue's original analysis. Always read the original order.
Disclaimer: General information only — not legal, tax or professional advice, and no advocate/CA–client relationship is created. AI-generated summaries may contain errors and must be verified against the original court order. EaseValue accepts no liability for reliance on this content. Not a solicitation.
Full disclaimer & Terms.