News

NCLT Mumbai approved resolution plan of Corporate Debtor [Cane Agro Energy (India) Ltd] as submitted by resolution applicant ...
CESTAT Kolkata held that ‘Works Rolls’ are Capital Goods and not spare parts and hence eligible to be imported against full utilization of Status Holder Incentive Scheme [SHIS Scheme]. Accordingly, ...
The capital market plays a crucial role in a country’s economic development, serving as a platform for entities to raise funds by issuing various securities. In India, the regulation of capital market ...
The Imperative for an Effective Legal Framework for Facial Recognition Technology in India. Abstract. Facial recognition technology (FRT) is a pote ...
The Reserve Bank of India (RBI) is progressing towards complete digitization of its internal regulatory approval workflows to improve efficiency, transparency, and service delivery timelines. The ...
The Insurance Regulatory and Development Authority of India (IRDAI) issued an order to Heritage Health Insurance TPA Pvt. Ltd. following a remote inspection that revealed violations of IRDAI ...
The policy that explains the approach of a company to dividend distribution is referred to as the Dividend Distribution Policy. It states the company’s stance on when the dividend be paid to ...
Sub: – Grant of additional installment of Dearness Relief (DR) to Central Govt. Pensioners/Family Pensioners- revised rate effective from 01.01.2025-reg.
The First Appellate Authority of the Insolvency and Bankruptcy Board of India (IBBI) addressed four RTI appeals filed by Ishrat Ali concerning the Central Public Information Officer’s (CPIO) responses ...
ITAT Raipur held that time period of 7 days provided to the assessee company to revert back to show cause notice was unreasonably short, and thus, violative of principles of natural justice.
In a significant ruling, the Income Tax Appellate Tribunal (ITAT) Mumbai dismissed appeals filed by the Deputy Commissioner of Income Tax against Sita Information Networking Computing USA Inc., ...
Bombay High Court held that Court cannot exercise its discretionary jurisdiction to restrain income tax officers from proceedings with assessment proceedings where huge unaccounted income in ...