seeking quashing
of the order dated 28th July, 2005 passed under Section 281B of
the Income Tax Act, 1961 (Act, for short). Prayer for payment ... with reference
to the first order dated 28th July, 2005, under Section 281B of
the Act.
3. The petitioner No. 1 was subjected to search
Circle-2, Gurgaon (DCIT)
CWP No.22229 of 2012 2
under Section 281B of the Income Tax Act, 1961 (in short ... proposal for provisional
attachment of the assets of the petitioner under section 281B of the
Act to respondent No.1 - Commissioner of Income Tax, Faridabad
ACIT has already levied a
provisional attachment under the provisions of Section 281B on 7 October
2011. The Commissioner of Income Tax has dismissed ... Court, states that
the provisional attachment which was levied under Section 281B on 7
October 2011 covers mutual funds of a total value
Dhurwa, Ranchi, which has been attached in exercise of power
under Section 281B of the Income Tax Act, 1961 (Annexure-5 dated 27th
September ... attached by exercising power under Section 281B of
the Income Tax Act,1961 and in the order it is not mentioned how much
TRUE COPY OF ORDER NO.BEKPM8147K/2013-14 UNDER SEC.281B
DATED 21.3.2014 ISSUED BY 2ND RESPONDENT TO THE INDIAN BANK,
ALUVA BRANCH ... TRUE COPY OF ORDER BEKPM8147K/2013-14 UNDER SEC 281B
DATED 21.3.2014 ISSUED BY 2ND RESPONDENT TO THE FEDERAL
BANK, GIRINAGAR BRANCH
assessee and
after receiving the permission on order u/s 281B was made on
22.12.2008. The assessee attended the proceedings through his
counsel Sh. Anand ... file the same inspite of attachment of
the bank under section 281B on 22.12.2008, which was released on giving
the bank guarantee. Ultimately, the assessee
assessment proceedings have continued in this manner. An order under
Section 281B for provisional attachment of assets was passed on 3rd
January, 2012. As noted
property and
therefore could not be attached u/s 281B and since no amount on
account of the said member was due or held
going on and during this period, order was passed under section 281B for
attachment of the Bank Accounts of the petitioner. Today also, learned
counsel
proceedings and, therefore, this is a colourable exercise of
power under Section 281B as well as arbitrary and,
furthermore, is malafide.
Learned counsel