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Income Tax Appellate Tribunal, KOLKATA ‘SMC’ BENCH, KOLKATA
Before: Shri J. Sudhakar Reddy, Hon’ble]
Assessment Year: 2014-15 Shri Mukesh Kumar Khemuka…….…...................……....………………..………………....……Appellant 27, Shakespare Sarani Flat 68 Kolkata – 700 017 [PAN: AFLPK 3693 P] Vs. Deputy Commissioner of Income Tax, Circle-1(2), Kolkata...............….....….…......Respondent Appearances by: None, appeared on behalf of the assessee. Shri Dhrubojyoti Ray, JCIT, Sr. D/R, appearing on behalf of the Revenue Date of concluding the hearing : November 6th, 2019 Date of pronouncing the order : December 5th, 2019 O R D E R Per J. Sudhakar Reddy, AM :-
Both these appeals filed by the assessee are directed against separate orders of the Learned Commissioner of Income Tax (Appeals) – 09, Kolkata, (hereinafter the “ld.CIT(A)”), passed u/s. 250 of the Income Tax Act, 1961 (the ‘Act’), dt. 08/03/2019 and dt. 26/03/2019, both for the Assessment Year 2014- 15.
None appeared on behalf of the assessee. The ld. Counsel for the assessee has filed an application seeking adjournment. The same is rejected as, in our view, this is not a fit case for grant of adjournment. Under these circumstances, we dispose off the case ex-parte qua the assessee after hearing the ld. Departmental Representative.
Assessment Year: 2014-15 Shri Rakesh Kumar Khemuka Assessment Year: 2014-15 Shri Mukesh Kumar Khemuka 3. As the issues arising in both these appeals are identical, for the sake of As the issues arising in both these appeals are identical, for the sake of As the issues arising in both these appeals are identical, for the sake of convenience, they are heard together and disposed off by way of this common convenience, they are heard together and disposed off by way of this common convenience, they are heard together and disposed off by way of this common order.
Heard the ld. D/R. The ld. CIT(A), in this case, has Heard the ld. D/R. The ld. CIT(A), in this case, has deleted the addition made deleted the addition made u/s 68 of the Act by the Assessing Officer. The Assessing Officer has made the u/s 68 of the Act by the Assessing Officer. The Assessing Officer has made the u/s 68 of the Act by the Assessing Officer. The Assessing Officer has made the addition u/s 68 of the Act of long term capital gains earned by the assessee by way addition u/s 68 of the Act of long term capital gains earned by the assessee by way addition u/s 68 of the Act of long term capital gains earned by the assessee by way of sale proceeds, sale of shares of M/s. of sale proceeds, sale of shares of M/s. S.R.K. Industries Ltd.. He followed the e followed the decision of the jurisdictional Tribunal in the case of decision of the jurisdictional Tribunal in the case of Navneet Agarwal vs. ITO in ITA Navneet Agarwal vs. ITO in ITA No. 2281/Kol/2017 (Kol. Trib). No. 2281/Kol/2017 (Kol. Trib). This deletion u/s 68 of the Act, is not before us. is not before us. The department has accepted the deletion of addition u/s 68 of the Act. O department has accepted the deletion of addition u/s 68 of the Act. O department has accepted the deletion of addition u/s 68 of the Act. Only the consequential addition made u/s 69C of the Act, has been confirmed by the ld. consequential addition made u/s 69C of the Act, has been confirmed by the ld. consequential addition made u/s 69C of the Act, has been confirmed by the ld. CIT(A). When the main addition CIT(A). When the main addition u/s 68 of the Act, has been deleted has been deleted and the revenue has accepted the same. T revenue has accepted the same. The consequential addition cannot be sustained. he consequential addition cannot be sustained. Thus, we delete the addition made u/s 69C of the Act and allow Ground No. 1 in the addition made u/s 69C of the Act and allow Ground No. 1 in the addition made u/s 69C of the Act and allow Ground No. 1 in both the appeals of the assessee. both the appeals of the assessee.
Ground No. 2 in both the appeals are consequential in nature. Ground No. 2 in both the appeals are consequential in nature.
Ground No. 3 in both the appeals are premature and dismissed as such. Ground No. 3 in both the appeals are premature and dismissed as such. Ground No. 3 in both the appeals are premature and dismissed as such.
Ground No. 4 in both the appeals are general in nature. th the appeals are general in nature.
In the result, both the appeals of the assessee are allowed in part. In the result, both the appeals of the assessee are allowed in part. In the result, both the appeals of the assessee are allowed in part.
Kolkata, the Kolkata, the 5th day of December, 2019. Sd/- [J. Sudhakar Reddy] Accountant Member Dated : 5.12.2019 {SC SPS} Assessment Year: 2014-15 Shri Rakesh Kumar Khemuka Assessment Year: 2014-15 Shri Mukesh Kumar Khemuka Copy of the order forwarded to: opy of the order forwarded to: 1. Shri Mukesh Kumar Khemuka Shri Mukesh Kumar Khemuka 27, Shakespare Sarani Flat 68 Kolkata – 700 017 2.Shri Rakesh Kumar Khemuka 2.Shri Rakesh Kumar Khemuka 27, Shakespare Sarani Flat 68 Kolkata – 700 017
Deputy Commissioner of Income Tax, Circle Commissioner of Income Tax, Circle-1(2), Kolkata 4. CIT(A)- 5. CIT- , Sent through e-mail. 6. CIT(DR), Kolkata Benches, Kolkata. . CIT(DR), Kolkata Benches, Kolkata.