Income Tax Appellate Tribunal - Kolkata
D.C.I.T Cir - 9(1),Kolkata, Kolkata vs M/S Itt Shippping Pvt Ltd, Kolkata on 31 December, 2019
IN THE INCOME TAX APPELLATE TRIBUNAL "B", BENCH KOLKATA BEFORE SHRI S.S.GODARA, JM &DR. A.L.SAINI, AM आयकरअपीलसं./ITA No.713/Kol/2019 ( नधारणवष / Assessment Year: 2012-13) DCIT, Circle-9(1), Kolkata Vs. M/s ITT Shipping Pvt. Ltd.
1st Floor, Room No. 123, 4, Fairlie Place, Strand Road, Kolkata-
700001.
थायीले खासं . /जीआइआरसं . /PAN/GIR No.: AAACI 5499 Q (Appellant) .. (Respondent) Appellant by : Smt. Ranu Biswas, Addl. CIT Respondent by : Shri Anikesh Banerjee, Advocate सुनवाईक तार ख/ Date of Hearing : 31/10/2019 घोषणाक तार ख/Date of Pronouncement : 31/12/2019 आदे श / O R D E R Per Bench:
The captioned appeal filed by the Revenue, pertaining to assessment year 2012-13, is directed against the order passed by the Commissioner of Income Tax (Appeal)-23, Kolkata in appeal no. 10009/CIT(A)-23/18-19, which in turn arises out of an assessment order passed by the Assessing Officer u/s 143(3) r.w.s 263 of the Income Tax Act, 1961 (in short the "Act") dated 22.12.2017.
2. This appeal filed by the revenue is barred by limitation by 126 days. The revenue filed a petition for condonation of delay requesting the Bench to condone the delay. We have heard both the parties on this preliminary issue and having M/s ITT Shipping Pvt. Ltd.
ITA No.713/Kol/2019Assessment Year:2012-13 regard to reasons given in the petition for condonation of delay we condone the delay and admit the appeal of the revenue for hearing.
3. The ground of appeal raised by the assessee are as follows:
1. Whether the CIT(A) is justified in facts and in law to allow the appeal of assessee against the revision assessment order of the Assessing Officer dated 22.12.2017 on the mere ground that the Hon'ble ITAT vide its order dated 01.06.2018 had allowed the appeal of the assessee and set aside the impugned order passed by the Ld.Pr.CIT-3, Kolkata on 08.03.2017 and not verifying the facts and circumstances of the case?
2. Whether the CIT(A) is justified in facts and in law to declare the impugned revision assessment order of the Assessing Officer dated 22.12.2017 as non-est without considering the facts of the case based on its merit?
3. Whether the CIT(A) is justified in facts and in law to declare the impugned revision assessment order of the Assessing Officer dated 22.12.2017 as non-est and deleted the disallowance by AO on account of Loss on Forward Contract of Rs.2,34,10,636/- without considering the fact that the forward exchange contracts were settled otherwise than by actual delivery, loss on account of cancellation of forward exchange contract was not allowable business expenditure as per section 43(5)?
4. That the department craves leave to add, alter or modify any grounds of appeal in the course of Appellate proceedings.
4. Brief facts qua the issue are that in the instant case, original assessment was completed u/ s 143(3) of the Act on 24.02.2015. Thereafter, during revenue audit, a spot memo was issued on 19.08.2015 by the Asst. Audit Officer, ITRA-01, raising the objection that a sum of Rs. 2,34,10,636/- was debited to the profit and loss account being loss of forward contract which should not be allowed as business expenses. Subsequently, an order u/s 263 was passed by ld. PCIT on 08.03.2017 setting aside the order passed by Assessing Officer with a direction to reframe the assessment afresh taking into account the objections raised by Revenue Audit Party. Thereafter, Assessing Officer passed consequential order to give effect the order of ld. PCIT and disallowed Rs. 2,34,10,636/-.
5. Aggrieved by the order of the Assessing Officer, the assessee carried the matter in appeal before the ld. CIT(A) who has allowed the appeal of the assessee observing the following:
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Assessment Year:2012-13 "This appeal is instituted against the consequential assessment order, passed by the assessing officer on 22.12.2017 U/s 143(3) read with the section 263, in response to the order passed U/S 263 by the Pr. CIT -3 ,Kolkata on 08.03.2017. In this case , it has been stated that the order U/s 263 of Pr. CIT-3, Kolkata has been allowed by Hon'ble ITAT in ITA No. 1014/Kol/2017 dated 01.06.2018 wherein it has been held as under: " Hence the issue is question is covered by a decision of Coordinate Bench of the Tribunal . We respectfully following the same as no contrary judgements have been brought to our notice by the Ld. CIT DR.
Hence even on merits the loss in question is allowable as a normal business loss during the year and this loss is not " Speculative Loss " In view of the above discussion we allow this appeal of the assessee and set aside the impugned order passed by the Ld. Pr. CIT passed U/s 263 of the Act on 08.03.2017.
In the result, the appeal of the assessee is allowed1' In view of the appellate order passed by Hon'ble ITAT on 01.06.2018 the order passed U/s 263 on 08.03.2017 of the Pr. CIT, Kolkata does not survive. Accordingly, the consequential order passed by the Assessing Officer on 22.12.2017 becomes without jurisdiction and void ab initio."
6. We note that the order passed by the ld. PCIT u/s 263 does not survive as the Hon'ble ITAT, Kolkata bench in ITA NO. 1014/Kol/2017 order dated 1.06.2018 has quashed the order u/s 263 of the Act. Therefore, the consequential order passed by the Assessing Officer in pursuance of the order u/s 263 of the Act becomes without jurisdiction and infructuous and hence the ld. CIT(A) has rightly allowed the appeal of the assessee. That being so, we decline to interfere in the order passed by the ld. CIT(A), his order on this issue is hereby upheld and the grounds of appeal raised by the revenue is dismissed.
7. In the result, the appeal of the revenue is dismissed.
Order pronounced in the Court on 31.12.2019
Sd/- Sd/-
(S.S.GODARA) (A.L.SAINI)
या यकसद य / JUDICIAL MEMBER लेखासद य / ACCOUNTANT MEMBER
कोलकाता /Kolkata;
दनांक/ Date: 31/12/2019
(SB, Sr.PS)
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M/s ITT Shipping Pvt. Ltd.
ITA No.713/Kol/2019
Assessment Year:2012-13
Copy of the order forwarded to:
1. DCIT, Circle-9(1), Kolkata
2. M/s ITT Shipping Pvt. Ltd.
3. C.I.T(A)- 4. C.I.T.- Kolkata.
5. CIT(DR), Kolkata Benches, Kolkata.
6. Guard File.
True copy
By Order
Assistant Registrar
ITAT, Kolkata Benches
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