Bharat A. Mehta vs Ito on 17 May, 2000
2. The learned counsel for the assessee, vide letter dated
05.02.2021 has requested for withdrawal of the appeal filed by the
assessee and stated that the assessee has opted to settle the
dispute relating to the tax arrears for the assessment year under
consideration under the Vivad Se Vishwas Scheme, 2020. A
2 ITA No.7220 /Del/2017
Smt. Meeta Nagpal Vs. ITO
certificate to this effect under Section 5(1) of The Direct Tax Vivad
Se Vishwas Act, 2020 has also been filed.