The Income Tax Appellate Tribunal (ITAT), Delhi Bench while quashing the order passed by the AO held that the draft order framed under Section 144C(1) of the Income Tax Act is in the name of a non-existent company and is, void ab initio, making all subsequent proceedings non-est. The assessee, BOEING India Pvt. Ltd. is […]
from Taxscan | Simplifying Tax Laws https://ift.tt/3g49khv
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