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546-C-2024, 802-C-2024, 1440-C-2019, 424-C-2023, 977-C-2024 & 407-C-2024- Gurmal Singh & Others. 4 आदेश/Order Per Krinwant Sahay, A.M.:
The captioned appeals have been filed by the Revenue against the separate orders of the ld. CIT(A) / CIT(A), National Faceless Appeal Centre (NFAC), Delhi pertaining to different assessment years, as per the following details: - of CIT(A) Order dated / NFAC 1 546/CHD/2024 CIT(A)- 19.02.2024 5,Ludhiana 2 802/Chd/2024 CIT(A),NFAC, 27.05.2024 Delhi 3 1440/Chd/2019 CIT(A)-1, 08.08.2019 Chandigarh 4 424/Chd/2023 CIT(A)-5, 10.04.2023 Ludhiana 5 977/Chd/2024 CIT(A), NFAC, 24.07.2024 Delhi 6 407/Chd/2024 CIT(A), NFAC 15.02.2024 Delhi
During the course of hearing, none appeared on behalf of the Assessee in for assessment year 2016-17 and 407/Chd/2024 for A.Y. 2017-18. From 546-C-2024, 802-C-2024, 1440-C-2019, 424-C-2023, 977-C-2024 & 407-C-2024- Gurmal Singh & Others. 5 the records, it is noted that the tax effect involved in the captioned appeals are as under: - of Tax effect (in Rs.) 1 546/CHD/2024 56,31,819/- 2 802/Chd/2024 52,53,796/- 3 1440/Chd/2019 57,98,276 4 424/Chd/2023 9,38,612/- 5 977/Chd/2024 53,06,572/- 6 407/Chd/2024 57,07,915/-
It is noted that the tax effect involved in the captioned appeals is less than the prescribed monetary limit. Accordingly, in terms of the CBDT Circular No.09/2024 dated 17.09.2024, wherein the Department has specified the monetary limit for an appeal to be filed by the Revenue before the ITAT as Rs. 60 lacs, the appeals so filed by the Revenue are not maintainable.
In view of the above facts and circumstances, the aforesaid appeals filed by the Department are dismissed due to low tax effect with a liberty to seek recall in case the matter falls under any of the exceptions so carved out in the aforesaid circular.
546-C-2024, 802-C-2024, 1440-C-2019, 424-C-2023, 977-C-2024 & 407-C-2024- Gurmal Singh & Others. 6 5. It is, however, clarified that the dismissal of the above appeals shall not be taken to be affirmation of the orders of the CIT(A) on merits. The legal issue raised by the Revenue is being left open to be adjudicated in an appropriate case.
In the result the appeals of the Revenue are dismissed.
Order pronounced on 22.10.2024.