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GROUNDS OF APPEAL TO BE FILED BEFORE THE INCOME TAX APPELLATE TRIBUNAL ALONGWITH FORM NO. 36 [Rule 47(1)] UNDER SECTION 253 OF THE INCOME TAX ACT,1961 AGAINST THE ORDER OF COMMISSIONER OF INCOME TAX (APPEALS)
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The Commissioner of Income Tax (Appeals) under the Income Tax Act has passed an Order against the Assessee. Now this needs to be challenged further. This is the precedent of Grounds of Appeal to be filed before the Income Tax Appellate Tribunal along with Form No.36 [Rule 47(1)] under Section 253 The Income Tax Act against the Order of Commissioner of Income Tax (Appeal)
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AN APPEAL BEFORE DRAT CHALLENGING THE INTERIM ORDER OF THE DRT
This is a precedent of an appeal before the Debt Recovery Appellate Tribunal Challenging the interim order of the Debt Recovery Tribunal under Section 20 of the Recovery of Debt due to Bank and Financial Institutions Act, 1993.
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APPEAL FROM ORDER TO BE FILED BEFORE THE SUPEIROR COURT AGAINST THE ORDER PASSED BY LOWER CIVIL COURT IN AN APPLICATION FOR INTERIM RELIEFS
Appeal from Order is to be filed against certain orders passed in a suit before its final decision as provided under Section 104 read with Order 43, Rule 1 of Code of Civil Procedure, 1908.The trial court has passed an interim order and which is required to be challenged before the higher or superior court. This is the precedent for the same.
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THE DECREE/ JUDGMENT PASSED BY ANY APPELLATE CIVIL COURT IN THE FIRSTÂ APPEALÂ WHICH COURT IS SUBORDINATE TO HIGH COURT CAN BE CHALLENGED BY WAY OF AÂ SECOND APPEALÂ BEFORE THE HIGH COURT IF THE CASE INVOLVES A SUBSTANTIAL QUESTION OF LAW (SECTION 100 OF THE CODE OF CIVIL PROCEDURE, 1908)
"The decree/ judgment passed by any appellate Civil Court in the first appeal which court is sub-ordinate to High Court can be challenged by way of a second appeal before the High Court provided the case involves a substantial question of law. This is a precedent of Second Appeal under Section 100 of the Code of Civil Procedure, 1908."
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APPEAL UNDER SECTION 15-T OF THE SECURITIES AND EXCHANGE BOARD OF INDIA ACT, 1992, BEFORE THE SECURITIES APPELLATE TRIBUNAL (SAT) CHALLENGING THE ORDER (PENALTIES AND ADJUDICATION) OF SECURITIES AND EXCHANGE BOARD OF INDIA PASSED UNDER CHAPTER VIA OF THE SECURITIES AND EXCHANGE BOARD OF INDIA ACT, 1992
This is a precedent of an appeal under section 15-T of the Securities and Exchange Board of India Act, 1992, before the Securities Appellate Tribunal (SAT) challenging the order (Penalties and Adjudication) of Securities and Exchange Board of India passed under Chapter via of the Securities and Exchange Board of India Act, 1992.
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COOKIE POLICY FOR WEBSITES
This is a precedent of Cookie Policy of the owners and operators of website for users/visitors of Website.
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THE REVISION APPLICATION TO THE COMMISSIONER OF INCOME TAX UNDER SECTION 264 OF THE INCOME TAX ACT FOR REVISION OF THE ORDER MADE UNDER SECTION 143 (1) OF THE ACT
This is the precedent of the Revisional Application to the Commissioner of Income Tax under Section 264 of the Income Tax Act for Revision of the Order made under section 143(1) of the Act. The Assessing Officer has passed an Order against the Assessee u/s 143 of The Income Tax Act. The Assessee has not preferred any appeal against the same. The Assessee desires to revise the order by approaching The Commissioner of Income Tax under Section 264 of the Income Tax Act.
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MASTER RESELLER AGREEMENT
The Company is a licensor, manufacturer and seller of products such as Software, hardware and related products, materials, Support and Services. Master Reseller is a reseller of such products. This is a precedent of Master Reseller Agreement between the Company and the Master Reseller.
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AN APPLICATION TO THE INCOME TAX ASSESSING OFFICER FOR RECTIFICATION UNDER SECTION 154 OF THE INCOME TAX ACT AGAINST AN ORDER MADE UNDER SECTION 143(1) OF THE ACT
The Income Tax Officer has while passing the Assessment Order u/s. 143(1) of the Income Tax Act, 1961, there are some errors apparent on the fact of the record and the Order. This is the precedent of an Application to the Income Tax Assessing Officer for rectification of the Order under Section 154 of the Income Tax Act ,1961of an Order made u/s. 143(1) of the Income Tax Act, 1961.
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MASTER SUBCRIPTION AGREEMENT
The Supplier is a provider of Subscription Services related to Information and Technology (IT) field. This is a precedent of Master Subscription Agreement between the Supplier and the Customer/User for providing such Services.
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TECHNOLOGY TRANSFER AGREEMENT
The Transferor is in possession of technical know-how/ technical information and desires to transfer the same to a third party on outright or license basis. This is the precedent of Technology Transfer Agreement.
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STATEMENT OF FACTS AND GROUNDS OF APPEAL TO BE FILED BEFORE THE COMMISSIONER OF INCOME TAX (APPEALS) ALONGWITH FORM NO. 35 (Rule 45) UNDER THE INCOME TAX ACT,1961 AGAINST THE ASSESSING OFFICER’S ORDER U/S. 143(3) OF THE ACT
The Assessing Officer has passed an Order against the Assessee u/s 143 of The Income Tax Act. Now this needs to be challenged further. This is the precedent of Statement of Facts and Grounds of Appeal to be filed before Commissioner of Income Tax (Appeals) along with 35 [Rule 45] against the Order of the Assessing Officer.
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CIVIL REVISION APPLICATION CHALLENGING THE JUDGMENT AND ORDER PASSED BY APPELLATE BENCH OF SMALL CAUSES COURT
This is a precedent of Revision Petition to the Hon’ble High Court under section 115 of the Civil Procedure Code,1908.A revision to High Court is available only in those cases and against such orders where no appeal lies and revisional jurisdiction can be exercised suo moto in certain cases including on the ground of jurisdiction error.
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