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With the attaining of finality on the aforesaid position of law, there is no doubt that the retrospective cancellation with effect from 01.04.2010 cannot be countenanced. Applying the ratio of the above judgment to the sequence of dates in this case, the appropriate date of cancellation would be 01.04.2017 onwards i.e. AY 2017-18 onwards. The impugned order is quashed to this extent and this writ petition stands disposed in terms of the above order. No costs. Connected miscellaneous petitions are closed. 18.11.2022 Index : Yes Speaking Order vs To The Principal Commissioner of Income Tax, Central – 2, Chennai – 600 034. Dr.ANITA SUMANTH,J. vs W.P.No.7116 of 2020 and WMP.Nos.8481 & 8483 of 2020 18.11.2022
by Sekar Reporter · Published January 20, 2023
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Is ‘Hijab’ a Constitutional Issue? Narasimhan Vijayaraghavan
by Sekar Reporter · Published September 7, 2022
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