
Komal Ahuja finance, Income Tax, Taxation accountability in tax assessment, ACIT v. Shanker Nebhumal Uttamchandani, Income tax assessment, Income tax raids, procedural integrity, Tax assessment fairness, Tax compliance, Transparency
Komal Ahuja Uncategorized assessing officer authority, documentation, financial dealings, Income tax assessment, investor identity, Khyathi Steel Industries (P.) Ltd., legal precedent, long-term capital gain, material facts disclosure, Principal Commissioner of Income-tax, Rajshree Realtors (P.) Ltd., satisfactory explanation, section 68, Section 68 additions, share application money, shell companies, substantiation, Swetaben Ghanshyambhai Patel, tax imposition, taxation law, transaction genuineness, Transparency, undisclosed income, Union of India, unjust tax additions