M/S Nike India Private Ltd. v. Deputy Commissioner of Income Tax
Case brief
What is this about?
Withdrawal of income tax appeal upon settlement under Direct Tax Vivad Se Vishwas Scheme, 2024 (DTVSV); Form 2 issued by respondent determining amount payable towards full and final settlement of tax arrear; memo dated 27.02.2025 seeking leave to withdraw; no objection by learned Panel Counsel; appeal disposed of as withdrawn. Key terms: ITA No. 1093 of 2017; High Court of Karnataka at Bengaluru; M/s. Nike India Private Ltd. v. Deputy Commissioner of Income Tax, Circle 12(2), Bangalore; Section 260-A Income Tax Act 1961; IT(TP)A No. 1338/Bang/2011; assessment year 2007-08; transfer pricing appeal; Vivad Se Vishwas; Krishna S Dixit; Ramachandra D. Huddar; decision dated 18.03.2025.
What did the court decide?
Leave to withdraw the appeal effectively granted; appeal disposed of as withdrawn in terms of the memo dated 27.02.2025 following settlement under the Direct Tax Vivad Se Vishwas Scheme, 2024.