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MASTER RESELLER AGREEMENT
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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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APPEAL TO THE HIGH COURT UNDER SECTION 260 A OF THE INCOME TAX ACT, 1961
The Income Tax Appellant Tribunal (ITAT) has made an Order against the Assessee. The Assessee wants to further challenge the said Order before the Hon’ble High Court. This is the precedent of an Appeal to the High Court against the Order of ITAT under Section 260A of the Income Tax Act, 1961.
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AGREEMENT OF BUSINESS FACILITY SERVICES
In this precedent, the Departmental Store is permitting a Counter in its larger store to a third party where the Departmental Store is permitting the space for counter as also providing business facility services.
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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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SUIT FOR PREVENTION OF MISUSE OF CONFIDENTIAL INFORMATION/DATA/TRADE SECRETS
This is the suit for Prevention of misuse of Confidential Information/Data/Trade Secrets. The Defendant being an ex-employee of the Plaintiff is attempting or misusing confidential information, data and trade secrets of the Plaintiff.
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NON DISCLOSURE AND NON-SOLICIT AGREEMENT WITH THE EMPLOYEE
This is a precedent of Non Disclosure and Non Solicit Agreement between the Employer and the Employee whereby the Employee is agreeing to maintain the total confidentiality about all the sensitive information of the Employer during and after the employment and about other terms.
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CLIENT – ARCHITECT AGREEMENT
By this Agreement, the Owner/Developer/Promoter is engaging services of the Architects for Architectural Services for the development of their real estate/property.
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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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SOFTWARE DEVELOPMENT AGREEMENT
The services of Software Developer is engaged by the Company/Buyer for development of the Software. This is a precedent of Software Development Agreement.
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AGREEMENT BETWEEN MEDICAL CENTRE AND DOCTORS
This is the precedent of an Agreement whereby Medical Center is hiring a Specialized Doctor for providing medical services to the patient of the Center.
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AGREEMENT OF BUSINESS SERVICES
The Owner of the fully furnished Commercial Premises has equipped the said premises with all the business facilities such as computers, copying machines, Communication System etc. and is running a business Centre services from the said premises. This is a precedent of the Agreement for providing business Service facilities to the Client.
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POLICE COMPLAINT UNDER SECTIONS 499 AND 500 (DEFAMATION) OF INDIAN PENAL CODE, 1860 FOR POSTING DEFAMATORY STATEMENTS ON SOCIAL MEDIA NETWORK
This is the precedent of Police complaint for defamation, posting defamatory statements on social media.
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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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