IN THE INCOME TAX APPELLATE TRIBUNAL
“ A ” BENCH, AHMEDABAD
BEFORE SHRI MUKUL Kr.SHRAWAT, JUDICIAL MEMBER AND
SHRI B.P.JAIN, ACCOUNTANT MEMBER
Sl.Nos
|
IT(SS)A Nos/
CO Nos. |
Asst.Year(s) |
Appeals/COs by
Appellant vs. Respondent |
|
|
|
|
Appellant Respondent |
|
1. |
115/Ahd/2010 |
1999-2000 |
DCIT,Mehsana
Circle,Mehsana |
Shri Jayesh Chandulal
Patel
C/o.Vimal Electric Co.
31, GIDC Estate
Highway, Mehsana
PAN:ABXPP2978G |
2 |
116/Ahd/2010 |
2000-01 |
Revenue |
Assessee |
3. |
117/Ahd/2010 |
2001-02 |
Revenue |
Assessee |
4. |
118/Ahd/2010 |
2002-03 |
Revenue |
Assessee |
5. |
119/Ahd/2010 |
2003-04 |
Revenue |
Assessee |
6. |
120/Ahd/2010 |
2004-05 |
Revenue |
Assessee |
7. |
CO81/Ahd/2010
(in IT(SS)A No.115/A/10) |
1999-2000 |
Assessee |
Revenue |
8. |
CO82/Ahd/2010
(in IT(SS)A No.116/A/10) |
2000-01 |
Assessee |
Revenue |
9. |
CO83/Ahd/2010
(in IT(SS)A No.117/A/10) |
2001-02 |
Assessee |
Revenue |
10. |
CO84/Ahd/2010
(in IT(SS)A No.118/A/10) |
2002-03 |
Assessee |
Revenue |
11. |
CO85/Ahd/2010
(in IT(SS)A No.119/A/10) |
2003-04 |
Assessee |
Revenue |
12. |
CO86/Ahd/2010
(in IT(SS)A No.120/A/10) |
2004-05 |
Assessee |
Revenue |
Revenue by : Shri Abhishek Kumar, Sr.D.R.
Assessee by : Shri V.R.Choksi, A.R.
Date of Hearing :
Date of Pronouncement :
O R D E R
PER BENCH:
Six appeals have been filed by the Revenue and six Cross Objections have been filed by the respondent-assessee arising from a common order of ld.CIT(A)-Gandhinagar dated
2. Revenue’s ground reads as under:-
1. The Ld. CIT(A) was not justified in deleting the penalty of Rs.7,02,856/- for A.Y. 1999-2000, Rs.3,53,028/- for A.Y. 2000-01, Rs.5,74,236/- for A.Y. 2001-02, Rs.7,16,346/- for A.Y. 2002-03, Rs.5,85,906/- for A.Y. 2003-04 and Rs.6,13,800/- for A.Y. 2004-05. 271(1)(c) of the I.T. Act.
2.1. A search was carried out u/s.132(2) of the I.T.Act, 1961 on
“18. As a result, we give following directions to the AO-
(1) He will provide copies of data of ACME file to the assessee and ask him to match each entry with the regular books of any of the group company;
(2) If the entry found recorded in ACME file tallies with or matches with any entry of the regular books of the group company then that entry will be excluded. Other entries in ACME file not matching with the regular books of any other group company will be compiled and totaled.
(3) A net profit rate of 5% would be applied on such total of the entries on the receipt side found not matching with any regular books of any group company. This amount will be treated as undisclosed income of the assessee.
19. As a result appeal filed by the assessee and that of Revenue are allowed for statistical purposes.”
3. With this brief factual background, we have heard both the sides. Parties appearing before us have fairly expressed that since the issue pertaining to the quantum addition had already been restored back to the file of the Assessing Officer with certain directions for de novo adjudication, therefore consequence thereupon these penalty proceeding deserves to be restored back to the file of the Assessing Officer. Considering the totality of the facts of the case, we deem fit to restore the issue of levy of penalty u/s.271(1)(c) of the I.T.Act for afresh adjudication by the Assessing Officer in the light of the outcome of the assessment proceedings. We direct accordingly. The grounds of the Revenue for all the years may therefore be treated as allowed but for statistical purposes.
4. From the side of the Cross Objector, Ld.AR Mr.V.R. Choksi fairly expressed not to press the cross objections since the matter is otherwise going back for adjudication. In the light of the concession expressed by the ld.AR Mr.V.R.Choksi, these cross objections are hereby dismissed
being withdrawn.
5. In the result all the appeals of the Revenue may be treated as allowed only for statistical purposes and the cross objections filed by the Assessee are dismissed.
This Order is pronounced in open Court on 27/ 12 /2011
Sd/- Sd/-
(B.P. JAIN) (MUKUL Kr. SHRAWAT)
ACCOUNTANT MEMBER JUDICIAL MEMBER
T.C. NAIR, Sr. PS
Copy of the Order forwarded to :
1. The Appellant
2. The Respondent.
3. Concerned CIT
4. The CIT(A)-Gandhinagar
5. DR, ITAT, Ahmedabad
6. Guard file.
//True Copy//
BY ORDER,
(Dy./Asstt.Registrar)
ITAT, Ahmedabad