RADHA GOVIND PUBLIC WELFARE SOCIETY,RAMGARH vs. ACI, RANCHI
Facts
The assessee filed appeals against orders passed by the CIT(A) for assessment years 2014-15 to 2016-17. The assessment for AY 2015-16 was based on an order u/s.263 of the Act. The assessee argued that the said section 263 order was quashed by a coordinate bench of the Tribunal, rendering the consequential assessment order invalid.
Held
The Tribunal noted that the assessment order for AY 2015-16 was consequential to an order u/s.263, which had already been quashed by a coordinate bench. Therefore, the assessment order for AY 2015-16 was quashed. For AY 2014-15 and 2016-17, the issues were similar and identical to the quashed order, and thus these appeals were restored to the AO for readjudication.
Key Issues
Whether the assessment orders are sustainable when the basis order u/s.263 has been quashed by the Tribunal? Whether the appeals for AY 2014-15 and 2016-17 should be restored to the AO for fresh adjudication?
Sections Cited
263, 143(3)
AI-generated summary — verify with the full judgment below
Income Tax Appellate Tribunal, RANCHIBENCH,RANCHI
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BEFORESHRI GEORGE MATHAN, JM & SHRI RATNESH NANDAN SAHAY, AM आयकरअपीलसं./ITA Nos.180-182/RAN/2023 (Ǔ��ȡ[����[/ Assessment Year :2014-2015- to 2016-2017) Radha Govind Public Welfare Vs. CIT(Exemption), Patna Society, Jara Tola, Near Ramgarh College, Ramgarh, Jharkhand-829122 ̾ĈĭĒıĕĸù ĭĝŃ./PAN No. : AAATR7936G (\ �Ȣ�ȡ�ȸ/Appellant) (Ĥ×��ȸ/ Respondent) ..
ĮċĊĭŊįēćıकीओरसे/Assessee by : Shri Devesh Poddar, Adv. �ȡ�è��ȧj � ȯ/Revenue by : Md. A.H.Chowdhury, CIT-DR Ǖ��ȡ_�ȧ�ȡ�ȣ�/ Date of Hearing : 05/05/2025 �Ȫ��ȡ�ȧ�ȡ�ȣ�/Date of Pronouncement : 05/05/2025 आदेश/ O R D E R PerBench: These are the appeals filed by the assessee against the separate orderspassed by the ld. CIT(A), National Faceless Appeal Centre (NFAC), Delhi, 08.08.2023 & 07.08.2023, for the assessment years2014-2015, 2015-2016 & 2016-2017, respectively. 2. Shri Devesh Poddar, Advocate appeared on behalf of the assessee. Md. A.H.Chowdhury, CIT-DR on behalf of the revenue. 3. It was submitted by the ld. AR that for the assessment year 2015- 2016, the foundation of the assessment was an order u/s.263 of the Act passed by the ld. Pr.CIT, Patna. It was the submission that the said order
2 ITA Nos.180-182/Ran/23 of the ld. Pr.CIT,Patna passed u/s.263 of the Act was the subject matter of an appeal before the Tribunal and the coordinate bench of the Tribunal in ITA No.66/Pat/2018 has, vide an order dated 23.02.2023, quashed the order passed u/s.263 of the Act. It was the submission that as the order u/s.263 of the Act has already been quashed, the consequential assessment order for the assessment year 2015-2016 no more survives. 4. In reply, ld. CIT-DR vehemently supported the order of the ld. AO and ld. CIT(A). It was the submission that the assesse has not represented before the ld. CIT(A). 5. We have considered the rival submissions. As it is noticed that the impugned assessment order is an order consequential to the order u/s.263 of the Act passed by the ld. Pr.CIT and the said order of the ld. Pr.CIT passed u/s.263 of the Act has already been quashed by the Tribunal in ITA No.66/Pat/2028 vide order dated 23.02.2023. The very foundation for the impugned assessment order no more survives. Consequently, the assessment order passed u/s.143(3) r.w.s.263 of the Act, dated 27.12.2018 for the assessment year 2015-2016 in the case of the assesse stands quashed. Thus, the appeal of the assesse in ITA No.181/Ran/2023 for A.Y.2015-2016 stands dismissed. 6. In regard to appeals of the assesse filed in ITA Nos.180&182/Ran/2023 for the assessment years 2014-2015 & 2016- 2017, it was the submission of the ld. AR that the order u/s.263 of the Act for the assessment year 2015-2016 has been quashed with the directions. It was the submission that in the assessment year 2014-2015, the issue
3 ITA Nos.180-182/Ran/23 was reopening of the assessment and for the assessment year 2016- 2017, it was a regular assessment. It was the prayer of the ld. AR that the issues in both the appeals were being identical to the appeal filed by the assesse for A.Y.2015-2016, could be restored to the file of AO for readjudication following the directions and examinations as directed for the assessment year 2015-2016 in the order passed by the coordinate bench of the Tribunal. 7. In reply, ld. CIT-DR vehemently supported the orders of the ld. AO and ld. CIT(A). It was the submission that the assesse has not represented its appeal before the ld. CIT(A). 8. We have considered the rival submissions. A perusal of the order of the coordinate bench of the Tribunal in the case of assesse for A.Y.2015- 2016 passed in ITA No.66/Pat/2023, vide order dated 23.02.2023, shows that there are certain verifications and directions done by the coordinate bench of the Tribunal on the additions made for the assessment year 2014-2015 & 2016-2017 are identical to the additions made for the assessment year 2015-2016. This being so, in the interest of justice, the issues in both the appeals for A.Ys.2014-2015 & 2016-2017 are restored to the file of AO for examination and verification in line with the order of the coordinate benchof the Tribunal in assessee’s own case for the assessment year 2015-2016. Thus, both appeals of the assesse for A.Y.2014-2015 & 2016-2017 are partly allowed for statistical purposes.
4 ITA Nos.180-182/Ran/23 9. In the result, appeal of the assessee in ITA No.181/Ran/2023is allowed and appeals of the assessee in ITA Nos.180&182/Ran/2023 are partly allowed for statistical purposes. Order dictated and pronounced in the open court on 05/05/2025.
Sd/- Sd/- (RATNESH NANDAN SAHAY) (GEORGE MATHAN) �ȯ�ȡ� �è�/ ACCOUNTANT MEMBER Û�ȡǓ��� �è�/ JUDICIALMEMBER राँचीRanchi; Ǒ��ȡȲ�Dated 05/05/2025 Prakash Kumar Mishra,Sr.P.S. ] �ȯ��ȧĤǓ�ͧ�ͪ�\ Ē ȯͪ��/Copy of the Order forwarded to : \ �Ȣ�ȡ�ȸ/ The Appellant-. 1. Ĥ×��ȸ/ The Respondent- 2. 3. ç Ēø ēç ĒIJƅ (अपील) / The CIT(A), ] ���] �ǕÈ�/ CIT 4. ĮęĐĭúıĒŮĮćĮċĮĊ, आयकरअपीलीयअिधकरण,राँची/ DR, ITAT, Ranchi 5. �ȡ�[�ȡ_�/ Guard file. 6. ×�ȡͪ��ĤǓ�//True Copy// आदेशानुसार/BY ORDER, (Senior Private Secretary) ] ���\ �Ȣ�ȣ�\ ͬ����, राँची/ ITAT, Ranchi