Income Tax Appellate Tribunal - Jodhpur
Acit, Circle, Pali. vs M/S. Rajasthan Marudhara Gramin Bank, , ... on 11 September, 2019
IN THE INCOME TAX APPELLATE TRIBUNAL, JODHPUR DIVISION BENCH , JODHPUR BEFORE: SHRI. N.K.SAINI, VP & SHRI , SANDEEP GOSAIN, JM ITA No. 179/Jodh/2018 Assessment Year : 2013-14 The DCIT Vs. M/s Balsamand Horticulture & Circle-1, Jodhpur Animal Husbandary Enterprises, Umaid Bhawan Palace, Jodhpur PAN NO: AAAFB9363M Appellant Respondent Cross Objection No. 03/Jodh/2018 (In ITA No. 179/Jodh/2018) Assessment Year : 2013-14 M/s Balsamand Horticulture & Vs. The DCIT Animal Husbandary Enterprises, Circle-1, Jodhpur Umaid Bhawan Palace, Jodhpur PAN NO: AAAFB9363M Appellant Respondent Assessee by : Shri Dilip Singh & Shri P.K. Jain, CA Revenue by : Shri Girish Mehta, JCIT DR ITA No. 224/Jodh/2018 Assessment Year : 2014-15 The ITO, Vs. Shri Mahender Khadav S/o Shri. Ward-3, Nagaur Dhanna Ram, Luniyas, Badgaon Medta PAN NO: ASQPK0893F Appellant Respondent Assessee by : Shri S.V Khatri, JCIT-DR Revenue by : Shri Girish Mehta, JCIT DR ITA No. 226/Jodh/2018 Assessment Year : 2014-15 The DCIT, Circle-1 Vs. M/s Mimani Agro Products Pvt. Ltd.
Bikaner 316, IGC, Khara, Bikaner PAN NO: AAECM8987H Appellant Respondent Assessee by : W/S (Shri Vinod Damani) Revenue by : Shri Girish Mehta, JCIT DR ITA No. 249/Jodh/2018 Assessment Year : 2014-15 Asst. CIT Vs. M/s Wolkem India Ltd. 2 Circle-1, Udaipur E-101, MIA, Madri, Udaipur PAN NO: AAACW1831A Appellant Respondent Assessee by : W/S (Shri. Hemender Pandwal) Revenue by : Shri Girish Mehta, JCIT DR ITA No. 281/Jodh/2018 Assessment Year : 2015-16 The DCIT Vs. M/s Sangam Infotech.com Ltd., Circle, Bhilwara Jhanar Plastci Compound, S.K. Plaza, Pur Road, Bhilwara, Rajasthan PAN NO: AAHCS4552R Appellant Respondent Assessee by : Smt. Raksha Birla, CA Revenue by : Shri Girish Mehta, JCIT DR ITA No. 283/Jodh/2018 Assessment Year : 2014-15 The DCIT Vs. M/s S.R. Associates, 5-G-9/2, Circle, Bhilwara Shivajee park Street, R.C. Vyas Colony, Bhilwara, Rajasthan PAN NO: ABCFS4017L Appellant Respondent Assessee by : W/S (Shri S.S. Shaktawat) Revenue by : Shri Girish Mehta, JCIT DR ITA No. 300/Jodh/2018 Assessment Year : 2015-16 The ITO, Ward- 3(5) Vs. Bilara Sahakari Bhoomi Vikas Bank Room No. 100, "Aayakar Bahwa" Ltd., Adarsh Colony, Tehsil-Bilara, Paota 'C' Road, Jodhpur Jodhpur PAN NO: AAAAB2127J Appellant Respondent Assessee by : Shri S.M. Jain, CA Revenue by : Shri Girish Mehta, JCIT DR ITA No. 423/Jodh/2017 Assessment Year : 2014-15 The Dy. CIT Vs. Shri. Sagar Joshi Circle-1, Jodhpur B-13, Shastri Nagar, Jodhpur PAN: AFXPJ5600H PAN NO: AAAFK8329A Appellant Respondent 3 Assessee by : None Revenue by : Shri Girish Mehta, JCIT DR ITA No. 391/Jodh/2018 Assessment Year : 2010-11 The Dy. CIT Vs. Shri. Shanti Lal Maroo Circle-1, Udaipur 27, Bhanbag, New Fatehpura, Udaipur, Rajasthan PAN NO: AFPPM1906H Appellant Respondent Assessee by : Shri Shrawan Gupta, Advocate Revenue by : Shri Girish Mehta, JCIT DR ITA No. 177/Jodh/2018 Assessment Year : 2010-11 The ITO Vs. M/s Dungarpur Kray, Vikray Sahakari Ward-Dungarpur Samiti Ltd. Nr. Police Line, Dungarpur PAN NO: AAAAD0138M Appellant Respondent Assessee by : Shri Shrawan Gupta, Advocate Revenue by : Shri Girish Mehta, JCIT DR ITA No. 259 /Jodh/2017 Assessment Years : 2011-12 The ITO, Ward-1(1) Vs. M/s Bombay Builder C/o Bombay Bikaner Mall, Near Jhanwar Bus Stand, Sri Dungargarh, Bikaner PAN NO: AAKFB4840R Appellant Respondent Assessee by : None Revenue by : Shri Girish Mehta, JCIT DR ITA No. 284/Jodh/2016 Assessment Years : 2012-13 The DCIT, Vs. M/s The Central Cooperative Bank Circle, Bhilwara Limited. 52, Balaji Market, Near Suchana Kendra, Bhilwara, Rajasthan PAN NO: AAAAT8126B Appellant Respondent Assessee by : None Revenue by : Shri K.C. Badhok, CIT DR ITA No. 34/Jodh/2016 Assessment Years : 2011-12 4 The ITO, Vs. Shri Jeet Mal Kumawat Ward-1, Makrana Kuchaman City PAN NO: AGIPK7004N Appellant Respondent Assessee by : Smt. Raksha Birla, CA Revenue by : Shri Girish Mehta, JCIT DR ITA No. 248/Jodh/2017 Assessment Years : 2012-13 The ITO Vs. Shri Shyam Kishore Bhootra Ward-3(3), Jodhpur 1 Shambhu Bhawan, Fateh Sagar Jodhpur PAN NO: AAZPB0355J Appellant Respondent Assessee by : None Revenue by : Shri Girish Mehta, JCIT DR ITA No. 104/Jodh/2018 Assessment Years : 2014-15 The Asst. CIT Vs. Shri. Adu Ram Basiya Circle-3, Jodhpur Prop. M/s Mahadev Auto Diesels, NH-15,Sanchore Road, Barmer PAN NO: ABYPB1961G Appellant Respondent Assessee by : Shri Amit Kothari, CA Revenue by : Shri Girish Mehta, JCIT DR ITA No. 180/Jodh/2018 Assessment Years : 2013-14 The DCIT, Circle, Pali Vs. Dr. Gulam Ali Sikander kamdar 289, Kidwai Nagar, Pali PAN NO: AABPK6096M Appellant Respondent Assessee by : None Revenue by : Shri Girish Mehta, JCIT DR ITA No. 44/Jodh/2018 Assessment Years : 2012-13 The ITO, Vs. Smt. Lada Devi Ward-1, Makrana W/o Late Shri Rugha Ram Jat, Gougor, Nagaur PAN NO: CJQPD2743C Appellant Respondent Assessee by : None Revenue by : Shri Girish Mehta, JCIT DR 5 ITA No. 348/Jodh/2017 Assessment Years : 2009-10 The DCIT Vs. M/s Ronak Processors Pvt. Ltd. Circle, Bhilwara G-138-142, RIICO Industrial Area, 4th Phase, Bhilwara, Rajasthan PAN NO: AABCB3476D Appellant Respondent Assessee by : None Revenue by : Shri K.C. Badhok, CIT DR ITA No. 203/Jodh/2017 Assessment Years : 2013-14 The ITO Vs. Shri. Hanuman Prasad Goyal Prop. Surathgarh M/s Goyal Enterprises, Gharsana Rajasthan PAN NO: ABVPG7484Q Appellant Respondent Assessee by : None Revenue by : Shri Girish Mehta, JCIT DR ITA No. 439/Jodh/2018 Assessment Years : 2015-16 The Asst. CIT Vs. M/s Aryabhatta Academic Society Circle (Exemptions) Jodhpur Near Suchna Kendra, Opposite Agarwal School, Ajmer PAN NO: AAAAA6283E Appellant Respondent Assessee by : Shri Shailendra S. Chauhan Revenue by : Shri Girish Mehta, JCIT DR ITA No. 453/Jodh/2018 Assessment Years : 2009-10 The Asst. CIT Vs. M/s Rajasthan Marudhara Gramin Pali Circle-Bank, (Earlier MGB Gramin Bank) 900/751, Milkman Colony, Pal Road, Jodhpur, H.O. Tulsi Tower, 9th B Road, Sardarpura, Jodhpur PAN NO: AABAM0917E Appellant Respondent Assessee by : Shri Goutam Baid, CA Revenue by : Shri K.C. Badhok, CIT DR 6 ITA No. 464/Jodh/2018 Assessment Years : 2010-11 The ITO Vs. Smt. Pushpa Devi Ward-1, Sri Ganganagar Prop. M/s Singla & Sons, New Dhan Mandi, Sri Ganganagar PAN NO: AYQPS3767E Appellant Respondent Assessee by : Shri Suresh Ojha & Shri D.S Bohra Revenue by : Shri Girish Mehta, JCIT DR सुनवाई क तार ख/Date of Hearing : 11/09/2019
उदघोषणा क तार ख/Date of Pronouncement : 11/09/2019 आदे श/Order PER BENCH:
All the above appeals filed by the Department and Cross Objection filed by the Assessee are arising out of the separate orders passed by different CIT(A) as per the details given below:
Sl. Appeal Number & Assessment Year Date of CIT/ Office of CIT/ CIT(A) No. CIT(A) order 1 ITA No. 179/Jodh/2018 (A.Y. 2013-14) 16/02/2018 CIT(A)-1, Jodhpur C.O. No. 03/Jodh/2018 (A.Y. 2013-14) 2 ITA No. 224/Jodh/2018 (A.Y. 2014-15) 23/02/2018 CIT(A)-2, Jodhpur 3 ITA No. 226/Jodh/2018 (A.Y. 2014-15) 01/02/2018 CIT(A), Bikaner 4 ITA No. 249/Jodh/2018 (A.Y. 2014-15) 19/03/2018 CIT(A)-1, Udaipur 5 ITA No. 281/Jodh/2018 (A.Y. 2015-15) 23/03/2018 CIT(A), Ajmer 6 ITA No. 283/Jodh/2018 (A.Y. 2014-15) 22/03/2018 CIT(A), Ajmer 7 ITA No. 300/Jodh/2018 (A.Y. 2015-16) 28/03/2018 CIT(A)-2, Jodhpur 8 ITA No. 423/Jodh/2017 (A.Y. 2014-15) 31/08/2017 CIT(A)-1, Jodhpur 9 ITA No. 391/Jodh/2018 (A.Y. 2010-11) 14/06/2018 CIT(A)-2, Udaipur 10 ITA No. 177/Jodh/2018 (A.Y. 2010 -11) 24/02/2015 CIT(A)-1, Udaipur 11 ITA No. 259 /Jodh/2017 (A.Y. 2011-12 ) 06/01/2017 CIT(A), Bikaner 12 ITA No. 284/Jodh/2016 (A.Y. 2012-13) 22/06/2016 CIT(A)Ajmer 13 ITA No. 34/Jodh/2016 (A.Y. 2011-12) 30/11/2015 CIT(A)-2, Jodhpur 14 ITA No. 248/Jodh/2017 (A.Y. 2012-13) 20/03/2017 CIT(A)-1, Jodhpur 15 ITA No. 104/Jodh/2018 (A.Y. 2014-15) 14/11/2017 CIT(A)-2,Jodhpur 16 ITA No. 180/Jodh/2018 (A.Y. 2013-14) 17/04/2018 CIT(A)-1, Jodhpur 17 ITA No. 44/Jodh/2018 (A.Y. 2012-13) 27/10/2017 CIT(A)-2, Jodhpur 18 ITA No. 348/Jodh/2017 (A.Y. 2009-10) 05/06/2017 CIT(A)Ajmer 19 ITA No. 203/Jodh/2017 (A.Y. 2013-14) 30/12/2016 CIT(A), Bikaner 20 ITA No. 439/Jodh/2018 (A.Y. 2015-16) 05/06/2018 CIT(A)-Ajmer 7 21 ITA No. 453/Jodh/2018 (A.Y. 2009-10) 15/07/2018 CIT(A)-1, Jodhpur 22 ITA No. 464/Jodh/2018 (A.Y. 2010-11) 19/07/2018 CIT(A), Bikaner
2. During the course of hearing it was a common contention of the Ld. Counsels for the Assessees present on behalf of the different Assessees that these appeals filed by the Department are not maintainable in view of the Circular No. 17/2019 dt. 08/08/2019 issued by CBDT wherein the monetary limit for filing the appeals by the Department before the ITAT has been increased to Rs. 50,00,000/- from Rs. 20,00,000/-.
3. In the rival submissions the Ld. CIT DR / Sr. DR submitted that the Circular No. 17/2019 dt. 08/08/2019 is not clearly retrospective in as much as it specifically states in para 4 that " the said modification shall come into effect from the date of issue of this Circular" It was stated that the aforesaid sentence clearly gives an impression that the said Circular is applicable after the date mentioned there in and thereafter the departmental appeals which come in the specified tax effect limit will not be filed. The Ld. Counsels appearing on behalf of the assessees vehemently opposed the contention of the Ld. CIT(DR) and they were unanimous in their arguments that the Circular must be held to have retrospective application and must equally apply to the pending appeals as well, since the present Circular only modifies the monetary limit earlier mentioned in Circular No. 3 of 2018 dt. 11/07/2018.
4. We have considered the submissions of both the parties and carefully gone through the material available on the record. In the present case it is an admitted fact that the CBDT vide Circular No. 17/2019 enhanced the monetary limit to Rs. 50,00,000/- for not filing the appeal by the department before the ITAT, earlier this limit was specified at Rs. 20,00,000/- in the original Circular no. 03/2018 dt. 11/07/2018. Now vide the new Circular no. 17/2019 dt. 08/08/2019 the Tax Effect limit has been enhanced and this new Circular dt. 08/08/2019 read as under;
Circular No. - 17 of 2019 Date - 8th August 2019 Further Enhancement of Monetary limits for filing of appeals by the Department before Income Tax Appellate Tribunal, High Courts and SLPs/appeals before Supreme Court -
Amendment to Circular 3 of 2018 - Measures for reducing litigation.
8Circular No. 3/2018 dated 11th July 2018 has been replaced by Circular No. 17/2019 dated 8th August 2019 to enhance Monetary limits for filing of appeals by the Department before Income Tax Appellate Tribunal, High Courts and SLPs/appeals before Supreme Court for reducing litigation.
Appeals/SLPs in Income-tax Monetary Limit (Rs.) Monetary Limit (Rs.) matters [Previous Limit) (Revised Limit) Before Appellate Tribunal 20,00,000 50,00,000 Before High Court 50,00,000 1,00.00.000 Before Supreme Court 1,00,00,000 2.00.00,000 • The Assessing Officer shall calculate the tax effect separately for every assessment year in respect of the disputed issues in the case of every assessee. If, in the case of an assessee, the disputed issues arise in more than one assessment year, appeal can be filed in respect of such assessment year or years in which the tax effect in respect of the disputed issues exceeds the monetary limit. No appeal shall be filed in respect of an assessment year or years in which the tax effect is less than the monetary limit • Further, even in the case of composite order of any High Court or appellate authority which involves more than one assessment year and common issues in more than one assessment year, no appeal shall be filed in respect of an assessment year or years in which the tax effect is less than the monetary limit • In case where a composite order/ judgement involves more than one assessee. each assessee shall be dealt with separately.
5. From the contents of the aforesaid Circular it is crystal clear that the anomaly in the earlier Circular no. 3 of 2018 dt. 11/07/2018 at page 5 has been removed and the limit specified in para 3 of the earlier Circular has been enhanced. It is also not in dispute that the earlier Circular was applicable retrospectively to the pending appeals / cross objections and para nos. 12 & 13 of the original Circular no. 03/2018 dt. 11/07/2018 read as under:
12. It is clarified that the monetary limit of Rs. 20 lakhs for filing appeals before the IT AT would apply equally to cross objections under section 253(4) of the Act. Cross objections below this monetary limit, already filed, should be pursued for dismissal as withdrawn/ not pressed. Filing of cross objections below the monetary limit may not be considered henceforth. Similarly, references to High Courts and SLPs/ appeals before Supreme Court below the monetary limit of Rs. 50 lakhs and Rs. 1 Crore respectively should be pursued for dismissal as withdrawn/ not pressed. References before High Court and SLPs/ appeals below these limits may not be considered henceforth.
13. This Circular will apply to SLPs/ appeals/ cross objections/ references to be filed henceforth in SCIHCs/Tribunal and it shall also apply retrospectively to pending SLPs/ 9 appeals/ cross objections/references. Pending appeals below the specified tax limits in pare 3 above may be withdrawn/ not pressed.
6. Now the CBDT simply enhanced the monitory limit and the directions given earlier vide para nos. 12 & 13 of the Circular no. 3 / 2018 dt. 11/07/2018 are still intact which is crystal clear from the language of the Circular no. 17/2019 wherein it has been mentioned that there is enhancement of monetary limit and amendment to Circular no. 3 /2018 for reducing the litigation. We therefore are of the confirmed view that the amended Circular No. 17/2019 now issued by the CBDT is also applicable to the pending appeals as has been specified in para 13 of the original Circular no. 3/2018 dt. 11/07/2018 and that the Department ought not have filed the appeals before the ITAT where the tax effect is Rs. 50 Lacs or less. It has been further clarified by the CBDT vide F.No. 279/Misc./ITJ dated 20.08.2019 that the revised monetary limit mentioned in Circular No. 17 of 2019 is applicable to all the pending SLPs/ appeals/ cross-objections /references and that all such pending appeals within the revised limit shall be withdrawn by the Department on or before 31.10.2019. For the aforesaid view we are also fortified by the decision dt. 14/08/2019 of the coordinate Bench i.e; ITAT, Ahmedabad Bench 'A' Ahemdabad in ITA No. 1398/Ahd/2004 for the A.Y. 1998-99 in the case of ITO, Ward-3(2) Ahmedabad Vs. Dinesh Madhavlal Patel, Ahmedabad & others wherein it has been held in para 5 to 7 as under:
5. Having considered the rival submissions and having perused the material on record, we do not have slightest of hesitation in holding that the concession extended by the CBDT not only applies to the appeals to be filed in future but it is also equally applicable to the appeals pending for disposal as on now. Our line of reasoning is this. The circular dated 8 th August 2019 is not a standalone circular. It is to be read in conjunction with the CBDT circular no 3 of 2018 (and subsequent amendment thereto), and all it does is to replace paragraph nos. 3 and 5 of the said circular. This is evident from the following extracts from the circular dated 8 th August 2019:
2. As a step towards further management of litigation, it has been decided by the Board that monetary limits for filing of appeals in income-tax cases be enhanced further through amendment in Para 3 of the Circular mentioned above and accordingly, the table for monetary limits specified in Para 3 of the Circular shall read as follows:
S.No. Appeals/SLPs in Income-tax matters Monetary Limit (Rs.) 1 Before Appellate Tribunal 50,00,000 2 Before High Court 1,00,00,000 3 Before Supreme Court 2,00,00,000 10
3. Further, with a view to provide parity in filing of appeals in scenarios where separate order is passed by higher appellate authorities for each assessment year vis-a-vis where composite order for more than one assessment years is passed, para 5 of the circular is substituted by the following para:
"5. The Assessing Officer shall calculate the tax effect separately for every assessment year in respect of the disputed issues in the case of every assessee. If in the case of an assessee, the disputed issues arise in more than one assessment year, appeal can be filed in respect of such assessment year or years in which the tax effect in respect of the disputed issues exceeds the monetary limit specified in para 3. No appeal shall be filed in respect of an assessment year or years in which the tax effect is less than the monetary limit specified in para 3. Further, even in the case of composite order of any High Court or appellate authority which involves more than one assessment year and common issues in more than one assessment year no appeal shall be filed in respect of an assessment year or years in which the tax effect is less than the monetary limit specified in para 3. In case where a composite order/ judgement involves more than one assessee, each assessee shall be dealt with separately"
4. The said modifications shall come into effect from the date of issue of this Circular.
6. Clearly, all other portions of the circular no. 3 of 2018 (supra) have remained intact. The portion which has remained intact includes paragraph 13 of the aforesaid circular which is as follows:
13. This Circular will apply to SLPs/ appeals/ cross objections/ references to be filed henceforth in SC/HCs/Tribunal and it shall also apply retrospectively to pending SLPs/ appeals/ cross objections/references.
Pending appeals below the specified tax limits in pare 3 above may be withdrawn/ not pressed.
7. In view of the above discussions, we hereby hold that the relaxation in monetary limits for departmental appeals, vide CBDT circular dated 8 th August 2019 (supra) shall be applicable to the pending appeals in addition to the appeals to be filed henceforth.
7. In view of the aforesaid discussion all the above appeals filed by the Department are dismissed.
8. As regards to the Cross Objections filed by the assessee the Ld. Counsels for the Assessee submitted that they have the instructions to withdraw the cross objection and gave in writing as under:
" Not Pressed"
9. In view of the above cross objection filed by the assessee is dismissed as withdrawn.
1110. In the result, appeals of the Revenue as well as cross objection of the Assessee are dismissed.
(Order pronounced in the open Court on 11/09/2019 ) Sd/- Sd/-
(SANDEEP GOSAIN ) ( N.K. SAINI)
JUDICIAL MEMBER VICE PRESIDENT
AG
Date: 11/09/2019
Copy of the order forwarded to :
1. The Appellant
2. The Respondent
3. CIT
4. The CIT(A)
5. DR, ITAT, JODHPUR
6. Guard File