Income Tax Appellate Tribunal - Delhi
Rakesh Jain, Ghaziabad vs Dcit, Ghaziabad on 23 October, 2017
IN THE INCOME TAX APPELLATE TRIBUNAL
Delhi Bench"A", New Delhi
BEFORE SHRI N.K. SAINI, ACCOUNTANT MEMBER
AND
BEFORE Ms. Suchitra Kamble, JUDICIAL MEMBER
I.T.A. No. 3573/Del/2016
A.Y.: 2005-06
I.T.A. No. 3574/Del/2016
A.Y.:2006-07
I.T.A. No.3575/Del/2016
A.Y.:2007-08
I.T.A. No. 3576/Del/2016
A.Y.:2008-09
I.T.A. No. 3577/Del/2016
A.Y. 2009-10
I.T.A. No. 3578/Del/2016
A.Y.:2010-11
I.T.A. No. 3579/Del/2016
A.Y.:2011-12
Rakesh Jain Vs. DCIT
12/40, Raj Nagar Central Circle
Ghaziabad Ghaziabad
PAN:ADBPJ5838K
[Appellant] [Respondent]
Appellant by: None
Respondent by: Smt. Aparna Karan, CIT (DR)
Date of Hearing: 23 10 2017
Date of Pronouncement: 23 10 2017
ITA Nos. 3573/Del/2016 to 3579/Del/2016 2
ORDER
PER N.K. SAINI, A.M:
These appeals by the assessee are directed against the consolidated order dated 10.2.2016 of CIT(A)-IV, Kanpur. The only grievance of the assessee in these appeals relates to the sustenance of penalty levied by the AO under Section 271(1)(b) of the Income Tax Act, 1961 (hereinafter referred as 'the Act').
2. Facts of the case, in brief, are that a search and seizure operation under Section 132 of the Act was carried out on 9.9.2010 at the office and residential premises of the assessee. The AO issued notices under Section 142(1) read with Section 153A of the Act dated 2.11.2012 and 30.11.2012 fixing the compliance on 20.11.2012 and 10.12.2012 respectively but no compliance was made on the said dates. The AO issued the penalty notice dated 15.04.2013 under Section 271 (1)(b) of the Act and asked the assessee to show cause as to why the penalty should not be imposed for non compliance. The said notice also remained uncomplied. The AO again gave an opportunity of hearing through notice dated 23.08.2013 fixing the date 4.9.2013. The assessee submitted that on the said date his representative Shri. P.K. Agarwal could not reach office as his car broke down on way to the AO's office. However, the AO was not satisfied with the reply of the assessee and imposed the penalties under Section 271 (1)(b) of the Act amounting to Rs. 10,000/- for each of the years under consideration.
3. Being aggrieved the assessee carried the matter to the learned CIT(A) and submitted that in compliance to notice under Section 271 (1)(b) of the Act, the assessee submitted before the AO that due to break down of car of his authorised representative compliance could not be made. The learned CIT(A) ITA Nos. 3573/Del/2016 to 3579/Del/2016 3 observed that the assessee had not given any reason before the AO as to why the penalty should be dropped. He, therefore, did not find merit in the submissions of the assessee and confirmed the penalty levied by the AO.
4. Now, the assessee is in appeal.
5. The learned CIT DR strongly supported the orders of the authorities below and further submitted that the assessee did not comply the notices issued by the AO therefore penalty was rightly levied for non compliance of the notice issued by the AO.
6. We have considered the submissions of the learned CIT DR and perused the material available on the record. In the present case, it is noticed that the submissions of the assessee on the merit for non levy of penalty under Section 271 (1)(b) of the Act has not been discussed. It is also not clear as to whether the assessee furnished any submissions for explaining the reasons for non appearance on the dates fixed by the AO for hearing. We, therefore, in the absence of relevant material on the record deem it appropriate to set aside this issue back to the file of the learned CIT(A) to be adjudicated afresh in accordance with law after providing due and reasonable opportunity of being heard to the assessee.
7. In the result, appeals of the assessee are allowed for statistical purposes.
Pronounced in the open court at the time of hearing itself i.e. on 23.10.2017 Sd/- Sd/-
[SUCHITRA KAMBLE] [N.K. SAINI]
Judicial Member Accountant Member
DATED: 23.10.2017
SH
ITA Nos. 3573/Del/2016 to 3579/Del/2016 4
Copy forwarded to:-
1. Appellant
2. Respondent
3. CIT
4. CIT(Appeals)
5. DR: ITAT
Assistant Registrar