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[Cites 3, Cited by 1]

Income Tax Appellate Tribunal - Rajkot

Shree Ram Salt Works, Gandhidham vs The Pr. Cit-1, Rajkot, Rajkot on 14 June, 2023

                IN THE INCOME TAX APPELLATE TRIBUNAL
                         RAJKOT BENCH, RAJKOT
                   (Conducted through E-Court at Ahmedabad)
       BEFORE SMT. ANNAPURNA GUPTA, ACCOUNTANT MEMBER &
           SHRI SIDDHARTHA NAUTIYAL, JUDICIAL MEMBER
                             I.T.A. No.06/Rjt/2021
                          (Assessment Year: 2015-16)
Shree Ram Salt Works                 Vs. Principal Commissioner of
Kalpesh S. Doshi & Co.,                  Income Tax-1,
Chartered Accountants, 411, Cosmo        Rajkot
Complex, Near Mahila College Circle,
Kalawad Road, Rajkot-360001
[PAN No.AAVFS6338L]
             (Appellant)             ..          (Respondent)
         Appellant by :        Shri Kalpesh Doshi, A.R.
         Respondent by:        Shri Shramdeep Sinha, CIT DR
         Date of Hearing                          06.06.2023
         Date of Pronouncement                    14.06.2023

                                     ORDER

PER SIDDHARTHA NAUTIYAL - JUDICIAL MEMBER:

This appeal has been filed by the assessee against the order passed by the Ld. Principal Commissioner of Income Tax, (in short "Ld. Pr.CIT"), Rajkot-1 in Order No. ITBA/REV/F/REV5/2020-21/1029186101(1) vide order dated 23.12.2020 passed for Assessment Year 2015-16.

2. The assessee has taken the following grounds of appeals:-

"1. That, the Learned Principal CIT has wrongly held that the order passed u/s 143(3) is erroneous and prejudicial to the interest of the Revenue and wrongly passed order u/s 263 of the I.T. Act.
ITA No.06/Rjt/2021
Shree Ram Salt Works vs. Pr.CIT Asst.Year -2015-16 -2-
2. The Learned Principal CIT has grossly erred in law and on facts in not appreciating that in order to invoke section 263, two conditions must be fulfilled viz. that the impugned assessment order must be erroneous and the error must be prejudicial to the interest of the revenue. In the present case ld.AO has passed the assessment order u/s 143(3) after making various enquiries from appellant, calling for various details and the appellant has duly submitted the said details, therefore there was no error in the impugned assessment order so as to justify action u/s 263 of the Act. Under the circumstances, the very assumption of power u/s 263 of the I.T. Act is unjustified and bad-in-law and therefore order u/s 263 of the Act deserved to be quashed.
3. That, the learned Principal CIT has wrongly applied the Explanation 2 to Section 263(1) of the I.T. Act for the year under consideration.
4. That, the Learned Principal CIT has wrongly disallowed the interest expenditure on advances to associate or sister concern and failed to consider the principal of commercial expediency and the financial position of the assessee as the assessee is also having various non-interest bearing fund."

3. Before us, the counsel for the assessee, vide letter dated 04-06-2023, submitted that the assessment for the year under consideration was finalised vide order dated 10-11-2017 by accepting the return of income filed by the assessee. Thereafter, order under section 263 of the Act was passed on 23-12- 2020 by PCIT, against which the assessee filed appeal before ITAT, Rajkot. Subsequent to revision proceedings, assessment under section 143(3) r.w.s.

ITA No.06/Rjt/2021

Shree Ram Salt Works vs. Pr.CIT Asst.Year -2015-16 -3- 263 has been completed and the assessing officer has passed order dated 22- 03-2022, wherein the return of income filed by the assessee has been duly accepted by the AO. The copy of the order dated 22-03-2022 has been produced before us for our perusal. Accordingly, since the assessment order has been passed without making any addition, the assessee is no longer aggrieved by the order of PCIT and therefore, the assessee has requested that he would like to withdraw the appeal filed before ITAT, Rajkot.

4. Accordingly, in view of the assessee's request for withdrawal of appeal, the appeal of the assessee is dismissed as withdrawn.

5. In the result, the appeal of the assessee is dismissed as withdrawn.

This Order pronounced in Open Court on                                                      14/06/2023

                    Sd/-                                                      Sd/-
 (ANNAPURNA GUPTA)                                                 (SIDDHARTHA NAUTIYAL)
ACCOUNTANT MEMBER                                                     JUDICIAL MEMBER
Ahmedabad; Dated 14/06/2023
TANMAY, Sr. PS                            TRUE COPY
आदे श क    त ल प अ े षत/Copy of the Order forwarded to :
1.     अपीलाथ  / The Appellant
2.       यथ  / The Respondent.
3.     संबं धत आयकर आयु त / Concerned CIT
4.     आयकर आयु त(अपील) / The CIT(A)-
5.      वभागीय    त न ध, आयकर अपील!य अ धकरण, राजोकट / DR, ITAT, Rajkot
6.     गाड' फाईल / Guard file.
                                                                                        आदे शानस
                                                                                               ु ार/ BY ORDER,

                                                                             उप/सहायक पंजीकार Dy./Asstt.Registrar)
                                                                         आयकर अपील य अ धकरण, राजोकट / ITAT, Rajkot
         1. Date of dictation          12.06.2023(Dictated in his own Dragon Software)
         2. Date on which the typed draft is placed before the Dictating Member           12.06.2023
         3. Other Member.....................
         4. Date on which the approved draft comes to the Sr.P.S./P.S                12.06.2023
         5. Date on which the fair order is placed before the Dictating Member for pronouncement     .06.2023
         6. Date on which the fair order comes back to the Sr.P.S./P.S               14.06.2023
         7. Date on which the file goes to the Bench Clerk               14.06.2023

8. Date on which the file goes to the Head Clerk..........................................

9. The date on which the file goes to the Assistant Registrar for signature on the order..........................

10. Date of Despatch of the Order..........................................