Search Results for "Convenience"

448 result(s) found

Scroll Down To Discover

Found 448 result(s)

© Image Copyrights Juris Services & Technology

Supreme Court Dismisses Appeals by Work Charged Employees on Pension Calculation Under 2013 Rules. Rule 5(v) of Work Charged Establishment Revised Service Conditions (Repealing) Rules, 2013 Limits Counting of Work Charged Service to Shortfall in Qualifying Period for Pension, Not Entire Service Period.

The dispute arose from appeals by work charged employees whose services were regularized under the Work Charged Establishment Revised Service Conditio...

© Image Copyrights Juris Services & Technology

Supreme Court Allows Transfer of Divorce Petition from Karnataka to Maharashtra for Convenience of Wife. Transfer Granted Under Section 25 of Code of Civil Procedure, 1908 Due to Wife's Hardship from Distance, Lack of Companionship, and Language Barriers in Contesting Case in Karnataka.

The background of the dispute involved a matrimonial conflict between a husband and wife who married in December 2020 after meeting on Facebook. The w...

© Image Copyrights Juris Services & Technology

Supreme Court Dismisses Transfer Petition in PMLA Case Seeking Venue Change from Lucknow to Ernakulam. Transfer Under Section 406 CrPC Not Granted as Accused Failed to Establish Exceptional Circumstances or That Place of Predicate Offence Determines PMLA Trial Venue Under Section 65 PMLA.

The Supreme Court considered a transfer petition filed by an accused in a Prevention of Money-laundering Act (PMLA) case seeking to transfer the proce...

© Image Copyrights Juris Services & Technology

Supreme Court Upholds Revenue in Income Tax Act Limitation Dispute Over Block Assessment. Limitation period for block assessment under Section 158BE commences from date of last Panchnama drawn, not date of last authorization, as per Explanation 2 to Section 158BE of Income Tax Act, 1961.

The dispute arose from block assessment orders passed under the Income Tax Act, 1961, following search operations. The assessees challenged the assess...