M/S. PONDS INDIA LTD.versusCOLLECTOR OF CENTRAL EXCISE, MADRAS
1997 INSC 6127 January 1997Appeal(s) allowed
M/s. Ponds India Ltd. challenged the collection of special excise duty on goods that were manufactured before 28 February 1988 but cleared after 1 March 1988. The Revenue argued that Rule 9A of the Central Excise Rules, 1944 made the goods liable to the duty levied under the Finance Act 1988. The Court held that specia…
THE COMMISSIONER OF INCOME TAX – 23versusM/S. MANSUKH DYEING AND PRINTING MILLS
2022 INSC 122524 November 2022Appeal(s) allowed
The partnership firm M/s. Mansukh Dyeing and Printing Mills revalued its assets on 1 January 1993, increasing their value by Rs 17.34 crore, and credited the surplus to the partners’ capital accounts in their profit‑sharing ratios. New partners who had contributed only small amounts of capital received large credits, s…
SHASHIKANT LAXMAN KALE AND ANR.versusUNION OF INDIA AND ANR.
1990 INSC 20820 July 1990Dismissed
The petitioners, an employee of a private‑sector firm and a trade union, challenged the constitutional validity of clause 10‑C inserted by the Finance Act, 1987 into section 10 of the Income‑Tax Act, 1961, which grants tax exemption on voluntary‑retirement payments only to employees of public‑sector companies. They arg…
COMMISSIONER OF INCOME-TAX, FARIDABADversusGHANSHYAM (HUF)
2009 INSC 91316 July 2009Appeal(s) allowed
The assessee (Ghanshyam HUF) received enhanced compensation and interest from the Haryana Urban Development Authority for land acquired under the Land Acquisition Act, 1894, but omitted these amounts from its 1999-2000 return, arguing that they were in dispute in a pending appeal by the State. The Assessing Officer, CI…
CHECKMATE SERVICES P. LTD.versusCOMMISSIONER OF INCOME TAX-1
2022 INSC 106912 October 2022Dismissed
The appellants, including Checkmate Services Pvt. Ltd., deposited employees' EPF and ESI contributions after the statutory due dates and claimed deductions under s.36(1)(va) of the Income Tax Act, 1961. The Assessing Officer disallowed the deduction, holding that the amounts constituted "income" under s.2(24)(x) and we…