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Income Tax Appellate Tribunal, INDORE BENCH, INDORE
Before: MS. MADHUMITA ROY & SHRI B.M. BIYANI
आदेश / O R D E R
Per Bench:
These are a batch of 22 appeals filed by different branches of Madhya Pradesh Gramin Bank (formerly known as Narmada Jhabua Gramin Bank) [“Assessees” in short], against the appeal-orders passed by the National Faceless Appeal Centre (NFAC), Delhi [“Ld. CIT(A)” in short], which in turn arise out of the respective orders passed u/s 154 of the Income- tax Act, 1961 [“the Act” in short] by TDS-CPC, Ghaziabad [“Ld. AO” in short], the details of various branches and orders appealed against being as follows:
Madhya Pradesh Gramin Bank ITANo.140 TO 161/Ind/2022 Page 2 of 5 Sr. Amoun No. t of Late DATE OF TAN of Financial Form Name Qtr filing Appeal No CIT(A) Branch Year Type Levy ORDER u/s 234E 1 ITA 140/Ind/2022 BADNAGAR BRANCH BPLJ00638B 2012-13 Q4 26Q 14400 CIT (A), Ujjain- /10029/2020-21 10-Jan-22 2 ITA 141/Ind/2022 JHABUA BRANCH BPLJ01572E 2013-14 Q1 26Q 3907 CIT (A),Indore-2/10067/2020-21 10-Jan-22 3 ITA 142/Ind/2022 GHATABILLOD BRANCH BPLI01616G 2014-15 Q2 26Q 10400 CIT (A), Ujjain/10033/2020-21 10-Jan-22 4 ITA 143/Ind/2022 DEDLA BRANCH BPLJ01598C 2012-13 Q4 26Q 10200 CIT (A), Indore- 2/10048/2020-21 10-Jan-22 5 ITA 144/Ind/2022 BADNAWAR BRANCH BPLJ01603A 2013-14 Q2 26Q 5910 CIT (A), Ujjain /10032/2020-21 10-Jan-22 6 ITA 145/Ind/2022 DHOLANA BRANCH BPLJ01600E 2012-13 Q4 26Q 5800 CIT (A), Indore- 1/10079/2020-21 10-Jan-22 7 ITA 146/Ind/2022 AMZERA BRANCH BPLJ01606D 2014-15 Q4 26Q 46530 CIT (A), Indore- 2/10073/2020-21 10-Jan-22 8 ITA 147/Ind/2022 NALCHHA BRANCH BPLJ01594F 2014-15 Q2 26Q 3000 CIT (A), Indore- 2/10072/2020-21 10-Jan-22 9 ITA 148/Ind/2022 SUSARI BRANCH BPLJ01611B 2014-15 Q3 26Q 2660 CIT (A), Indore- 2/10071/2020-21 10-Jan-22 10 ITA 149/Ind/2022 KALIBAWDI BRANCH BPLJ01592D 2013-14 Q3 26Q 7570 CIT (A), Indore- 2/10051/2020-21 10-Jan-22 10-Jan-22 11 ITA 150/Ind/2022 AJANDA BRANCH BPLJ01615F 2012-13 Q4 26Q 2606 CIT (A), Indore- 2/10055/2020-21 10-Jan-22 12 ITA 151/Ind/2022 LAHORI BRANCH BPLJ01604B 2012-13 Q4 26Q 14400 CIT (A), Indore- 2/10054/2020-21 10-Jan-22 13 ITA 152/Ind/2022 TISGAON BRANCH BPLJ01613D 2014-15 Q1 26Q 2954 CIT (A), Indore- 2/10068/2020-21 10-Jan-22 14 ITA 153/Ind/2022 NISARPUR BRANCH BPLJ01605C 2012-13 Q4 26Q 10200 CIT (A), Indore- 2/10059/2020-21 10-Jan-22 15 ITA 154/Ind/2022 DEHRI BRANCH BPLJ01617A 2014-15 Q3 26Q 300 CIT (A), Indore- 2/10052/2020-21 10-Jan-22 16 ITA 155/Ind/2022 DEHRI BRANCH BPLJ01617A 2012-13 Q2 26Q 5476 CIT (A), Indore- 2/10049/2020-21 10-Jan-22 17 ITA 156/Ind/2022 KUKSHI BRANCH BPLJ01601F 2012-13 Q2 26Q 4200 CIT (A), Indore- 2/10047/2020-21 10-Jan-22 18 ITA 157/Ind/2022 PIPLIYA BRANCH BPLJ01609G 2012-13 Q4 26Q 21600 CIT (A), Indore- 2/10056/2020-21 10-Jan-22 19 ITA 158/Ind/2022 JAISINGHPURA BRANCH BPLD01792A 2012-13 Q4 26Q 4480 CIT (A), Ujjain-/10030/2020-21 10-Jan-22 20 ITA 159/Ind/2022 NALKHEDA BRANCH BPLD02171B 2014-15 Q2 26Q 2600 CIT (A), Ujjain-/10031/2020-21 10-Jan-22 21 ITA 160/Ind/2022 SONKUTCH BRANCH BPLD01798G 2014-15 Q3 26Q 2600 CIT (A), Ujjain -/10027/2020-21 10-Jan-22 22 ITA 161/Ind/2022 PIPALRAWA BRANCH BPLD01801C 2012-13 Q4 26Q 47392 CIT (A), Ujjain-/10028/2020-21
Madhya Pradesh Gramin Bank ITANo.140 TO 161/Ind/2022 Page 3 of 5
Heard the learned Representatives of both sides and case records perused.
The registry has informed that these appeals are filed after a delay of 76 days and therefore time-barred. The Ld. AR prayed that the delay has occurred due to Covid-19 Pandemic. The Ld. AR further placed reliance on the order of Hon’ble Supreme Court in Suo Motu Writ Petition (C) No. 3 of 2020 read with Misc. Applications, by which suo motu extension of the limitation-period for filing of appeals w.e.f. 15.03.2020 under all laws has been granted and hence there is no delay in fact. We confronted the Ld. DR who agreed to the submission of Ld. AR. In view of this, the appeals are proceeded with for hearing, there being no delay.
Precisely stated the facts leading to these appeals before us are such that that the assessees have filed statutory returns of TDS in Form No. 26Q of various quarters of the financial years as mentioned in the details given in the Table above, which were processed by Ld. AO who observed that the returns were filed belatedly beyond the time-limit prescribed in section 200(3) of the act. Accordingly, the Ld. AO charged late-fee u/s 234E of the act, of varying amounts as per period of delay committed by assessees, in the intimations issued u/s 200A of the Income-tax Act, 1961. Against such intimations u/s 200A, the assessees submitted applications for rectification u/s 154 of the Act, but, however the Ld. AO rejected those rectification-applications. Being aggrieved by action of Ld. AO, the assessees carried matters to Ld. CIT(A) by way of first-appeal. During appellate proceeding, Ld. CIT(A) was not impressed by the modus applied by assessees viz. the assessee filed rectification- applications u/s 154 to Ld. AO and thereafter went in appeals before him. According to Ld. CIT(A), the assessee must have approached him by way of direct appeals against the intimations passed by Ld. AO u/s 200A. At the same time, Ld. CIT(A) accepted in Para No. 6.1 of the orders that on merits of the late
Madhya Pradesh Gramin Bank ITANo.140 TO 161/Ind/2022 Page 4 of 5 filing fee u/s 234E, the issue is covered in favour of assessee i.e. late-fee is not leviable. This way, the Ld. CIT(A) did not grant any relief to the assessees.
During hearing before us, the learned Representatives of both sides fairly agree that the identical issues/appeals have already been decided by the Co- ordinate Bench of ITAT, Indore in to 328/Ind/2022, order dated 11.11.2022 in favour of assessee in assesses’ own cases and the late-fee levied by revenue-authorities have been deleted. Therefore, the same view can be applied in present appeals. A copy of the order of ITAT is also placed on record. Respectfully following the decision of Hon’ble Co-ordinate Bench, we are persuaded to accept all grounds of these appeals and thereby delete the late fee levied by Ld. AO u/s 234E. Ordered accordingly.
In the result, these appeals of assessees are allowed.
Order pronounced as per Rule 34 of ITAT, Rules, 1963 on 13.12.2022.