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Income Tax Appellate Tribunal - Mumbai

Jai Bhagwati Developers & Builders And ... vs Asst. Commissioner Of Income Tax 19(1), ... on 27 April, 2026

                     आयकर अपीलीय अधिकरण, मुंबई पीठें , मुंबई
                  INCOME TAX APPELLATE TRIBUNAL,
                      MUMBAI BENCHES, MUMBAI
                                       BENCH: F

  BEFORE SHRI NARENDER KUMAR CHOUDHRY, JUDICIAL MEMBER
                            AND
            SHRI JAGADISH, ACCOUNTANT MEMBER

                                ITA 1366/MUM/2026
                      निर्धा र ण वर्ा / Assmt. Year: 2013-14)
                  Permanent Account Number: AABAJ0315M
  Jai Bhagwati Developers and                       Asst. Commissioner of Income
 Builders and R. K. Madhani Co.                           Tax 19(1), Mumbai
               (J.V.)                                   Room No. 506, 5 th Floor,
 68/70, C.P. Tank Road, C.P. Tank,              Vs.   Piramal Chamber, Lalbaugh,
         Mumbai-400004,                                  Parel, Mumbai-400012,
            Maharashtra                                        Maharashtra
         (अपीलधर्थी Appellant)                               (प्रत्यर्थी Respondent)


                                                    Dr K Shivram Sr. Advocate A/w Shri
  निर्धा रिती द्वधिध/Assessee represented by:
                                                    Shashi Bekal, Advocate
     िधजस्‍व द्वधिध/Revenue represented by: Shri. Pitamber Kumar, Sr. DR


      सु ि वधई की तधिीख / Date of conclusion of hearing: 27-Apr-2026
             घोषणध की तधिीख / Date of pronouncement: 27.04.2026


                               आदे श / ORDER


PER NARENDER KUMAR CHOUDHRY, JUDICIAL MEMBER:

This appeal has been preferred by the assessee against the order dated 26.11.2025, impugned herein, passed by National Faceless Appeal Centre (NFAC), Delhi / Ld. Commissioner of Income Tax (Appeals) (in short 'Ld. Commissioner') u/s. 250 of the Income Tax Act, 1961 (in short 'the Act') for the A.Y. 2013-14.

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ITA 1366/Mum/2026 Jai Bhagwati Developers & Builders and Rk Madhani Co. (J.V.)

2. Considering the reasons stated by the assessee for condonation of delay of 6 days in filing the instant appeal, as reasonable, plausible and unintentional, the delay is condoned.

3. Coming to the merits of appeal filed by the assessee, it is observed that the Ld. Commissioner dismissed the appeal filed by the assessee, against the assessment order dated 30.03.2016 passed u/s. 143(3) of the Act, whereby the Assessing Officer disallowed the interest expenditure of Rs. 43,98,624/- and commission expenditure of Rs. 10,41,341/- and added back to the total income of the assessee. We observe from the impugned order that the Ld. Commissioner though issued deficiency notice u/s. 250 of the Act directing the assessee to file an application for condonation of delay setting out the reasons, which prevented the filing of the appeal within the statutory time. However, the assessee failed to comply with the such notice and/or failed to file any condonation petition nor furnished any explanation or supporting material demonstrating the existence of 'sufficient cause' as required u/s. 249(3) of the Act. Thus, in the constrained circumstances, the Ld. Commissioner dismissed the appeal filed by the assessee for want of limitation.

4. Before us, the assessee has filed an application for condonation of delay of 43 days in filing first appeal before the Ld. Commissioner and demonstrated the reasons stated below:

"That the assessee though preferred first appeal against the assessment order dated 30.03.2016, on dated 13.06.2016. However, cognizance of the same was taken after approximately 9 years by issuing the notice dated 14.11.2025, intimating the delay. Somehow new accountant Mr. Pravin Arondekar, missed the notice and was under the belief that fresh notice would be issued but somehow, thereafter, the Ld. Commissioner dismissed the appeal of the assessee in limine without issuing any further notice to the assessee. The assessee in the application for condonation of delay has also stated that it has received the assessment order through email dated 30.03.2016 and was under the belief that Mr. Milan Mehta, Accountant, had complied with the filing of an appeal in consultation with the Chartered Accountant. However, Mr. Mehta abruptly left office of the assessee in June, 2016 and thereafter, the assessee immediately appointed Mr. Pravin Arondekar to look after the taxation and accounts compliance, who upon verifying the file, realized that the appeal for assessment year under consideration had not been filed and therefore, Mr. Pravin Arondekar immediately contacted the Chartered Accountant and filed the appeal on 13.06.2016 accordingly, however, with the delay of 43 days. The delay was neither intentional nor malafide but because of the 2 ITA 1366/Mum/2026 Jai Bhagwati Developers & Builders and Rk Madhani Co. (J.V.) aforesaid reasons. The assessee also supported the above reasons with duly sworn affidavit as well as medical certificate."

5. The Ld. DR on the contrary, refuted the claim of the assessee and objected to allowing the condonation of delay of 43 days in filing the first appeal before the Ld. Commissioner.

6. Having considered the reasons stated by the assessee on the condonation of delay which are otherwise supported with duly sworn affidavit as genuine, bonafide and unintentional, the delay is condoned.

7. Coming to the merits of the case as observed above, the Ld. Commissioner dismissed the appeal filed by the assessee in limine and/or want of limitation and/or without going into merits of the case thus for just and proper decision of the case and substantial justice, we deem it appropriate to remand the instant case to the file of Ld. Commissioner for decision on merit. Thus, the case is accordingly remanded to the file of the Ld. Commissioner for decision on merit. Suffice to say by affording reasonable opportunity of being heard to the assessee. The assessee is also directed to comply with the notices to be issued by the Ld. Commissioner and file the relevant submission/documents, as would be required. We clarify that in case of any subsequent default, the assessee shall not be entitled to any leniency.

8. In the result, appeal filed by the Assessee is allowed for statistical purpose.


       Order pronounced on 27.04.2026


            Sd/-                                        Sd/-/-
          JAGADISH                           NARENDER KUMAR CHOUDHRY
     ACCOUNTANT MEMBER                           JUDICIAL MEMBER

Mumbai; Dated: 27.04.2026
Karishma J. Pawar, SR. PS
Copy to:




                                             3
                                                     ITA 1366/Mum/2026
                                 Jai Bhagwati Developers & Builders and
                                                  Rk Madhani Co. (J.V.)



  JAI BHAGWATI DEVELOPERS &
  BUILDERS AND RK MADHANI CO,
1 68/70, C.P. TANK ROAD, C.P. TANK,
  MUMBAI - 400004,
  MAHARASHTRA

  ASST. COMMISSIONER OF INCOME TAX
  19(1), MUMBAI ,
2 ROOM NO. 506, 5TH FLOOR, PIRAMAL
  CHAMBER, LALBAUGH, PAREL, MUMBAI,
  MUMBAI-400012, MAHARASHTRA

3 THE PCIT / CIT,

4 THE D.R., ITAT, MUMBAI BENCH

5 GUARD FILE



                                               TRUE COPY


                                     ASSISTANT REGISTRAR /
                                     SR. PRIVATE SECRETARY
                                          I.T.A.T., MUMBAI




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