IMPORTANT INCOME TAX CASE LAWS 29.09.2025

By | October 1, 2025

IMPORTANT INCOME TAX CASE LAWS 29.09.2025

 

SECTIONCASE LAW TITLEBrief SummaryCitationRelevant Act
Sec. 10(10A)(ii)Arun Dhir vs. Deputy Commissioner of Income-taxA lump sum payment received on cessation of service qualifies for pension exemption, as the benefit isn’t restricted only to superannuation/retirement.Click HereIncome Tax Act
Goldman Sachs (India) Finance (P.) Ltd. vs. Assessment Unit, Income-tax DepartmentMatter remanded to AO for fresh examination of occupancy expenses, as the assessee needed more time to collate supporting documents from its group entity.Click HereIncome Tax Act
Sec. 54FRajni Kumar vs. ITO, Ward 3 (1)Deduction allowed as the delay in constructing a new house was due to reasons beyond the assessee’s control, and the amount was subsequently invested in another property.Click HereIncome Tax Act
Sec. 148A, 148, 151ARamachandra Reddy Ravi Kumar vs. Deputy Commissioner of Income-taxReassessment notices issued physically after 29-03-2022 were quashed as they violated the mandatory faceless procedure under section 151A.Click HereIncome Tax Act
Sec. 40(a)(ia), 194HVodafone Idea Ltd vs. Deputy Commissioner of Income-taxThe AO was directed to verify the assessee’s claim of having paid TDS on discounts to distributors and to allow the deduction on a payment basis.Click HereIncome Tax Act
Deputy Commissioner of Income-tax vs. Golden Tulip Hospitality (P.) Ltd.A rectification application by the revenue seeking to reopen an entire adjudication was held to be not maintainable by the Tribunal.Click HereIncome Tax Act
Sec. 12AAICG-IISU Alumnae Association-bandhan vs. Commissioner of Income-tax (Exemption)An alumni association works for the public benefit, not just for its members, and demanding mobile numbers of beneficiaries is not a valid test of genuineness for registration.Click HereIncome Tax Act
Sec. 92BL’Oreal India (P.) Ltd. vs. Deputy Commissioner of Income-taxAMP expenses incurred exclusively for business in India, with no benefit to Associated Enterprises (AEs), cannot be treated as an international transaction.Click HereIncome Tax Act
Sec. 194DBhavesh Karamshi Thakkar vs. Deputy Commissioner of Income-taxReferral commission paid by an insurance agent to non-agents for procuring customers is not liable for TDS under section 194D.Click HereIncome Tax Act
Sec. 153ADeputy Commissioner of Income-tax vs. Hardcastle Restaurants (P.) Ltd.Additions made in a section 153A assessment are beyond jurisdiction and must be quashed if they are not based on any incriminating material found during the search.Click HereIncome Tax Act
Sec. 54FDeputy Commissioner of Income-tax vs. Syama Reddy Mali ReddyDeduction is available even if the legal title of the new house is transferred after two years, provided the investment was made before filing the return.Click HereIncome Tax Act
Sec. 56(2)(x), 270ANarayanbhai Shivabhai Patel vs. Income-tax OfficerAdditions made under the deeming provisions of Sec. 56(2)(x) cannot be considered as “underreporting of income” for levying a penalty under Sec. 270A.Click HereIncome Tax Act

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