THE PUNJAB LIVESTOCK DEVELOPMENT BOARD,MOHALI vs. DICT(EXEMPTIONS), CHANDIGARH
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आदेश/Order Per Bench:
Captioned appeals have been filed by the Assessee for the different assessment years against the separate orders of the ld. Commissioner of Income Tax (Appeals), National Faceless Appeal Centre (NFAC), Delhi, as per the following details: Sr.No. ITA No. Assessee A.Y. CIT(A) order dated 1. 510/Chd/2024 The Punjab 2011- 13.01.2024 Livestock 12 Development Board, Mohali 2 511/Chd/2024 The Punjab 2012- 13.01.2024 Livestock 13 Development Board, Mohali 3 512/Chd/2024 The Punjab 2013- 29.01.2024 Livestock 14 Development Board, Mohali
The Assessee has also filed Stay Applications bearing Nos. SA Nos. 14 & 15/Chd/2024 in ITA Nos. 510 & 511/Chd/2024, for A.Ys. 2011-12 and 2012-13 respectively, requesting for Stay of the outstanding demand amounting to the tune of Rs. 2,27,51,826/- for
510 to 512-Chd-2024 & S.A. Nos. 14 & 15-Chd-2024 – The Punjab Livestock Development Board, Mohali 3 A.Y. 2011-12 and Rs. 1,61,05,561/- for A.Y. 2012-13 respectively till the disposal of the pending appeals.
Since the Stay Applications are arising out of the main appeals for A.Ys. 2011-12 and 2012-13, therefore, first we shall deal with the Appeals of the Assessee.
ITA Nos. 510 to 512/Chd/2024 4. Though numerous identical grounds of appeal have been raised in the captioned appeals but the main grievance of the Assessee in all the appeals for different assessment years is that the ld. CIT(A) has wrongly upheld and confirmed the action of the Assessing Officer / additions made by the Assessing Officer and upheld the initiation of penalty proceedings without providing a reasonable opportunity of hearing, which is against the principal of natural justice. It has further been submitted by the ld. Counsel that no notice of hearing was ever served upon the Assessee either through post or registered e- mail of the Assessee and further there is no such evidence available on record with the Department to prove the service of notice on the Assessee.
510 to 512-Chd-2024 & S.A. Nos. 14 & 15-Chd-2024 – The Punjab Livestock Development Board, Mohali 4 5. The ld. Counsel has also brought on record the decision of the Hon'ble jurisdictional Punjab and Haryana High Court in the case of ‘Munjal BCU Centre of Innovation and Entrepreneurship Vs CIT(E) Chandigarh’, CWP No. 21028/2023 dated 4.3.2024 and requested that as the service of notice was solely on portal which could not be seen by the Assessee, therefore, as per the Hon'ble jurisdictional High Court’s decision in the above mentioned case, the Assessee may be presumed to have no knowledge of the proceedings. The ld. Counsel further submitted that as such, it cannot be treated as a valid service of notice. Accordingly, the ld. Counsel submitted that in view of the above, the notices issued u/s 148 for above-mentioned assessment years deserves to be quashed and the consequential assessments proceedings against the Assessee deserved to be set-aside in all the assessments and the Assessee be given a reasonable opportunity to present his case before the lower authorities.
The ld. DR relied on the orders of the CIT(A).
We have considered the findings of the ld. CIT(A) in his appeal orders and the submissions made by the ld. Counsel of the Assessee during the proceedings before us. We find that in the above- mentioned assessment years, the Assessee could not get reasonable
510 to 512-Chd-2024 & S.A. Nos. 14 & 15-Chd-2024 – The Punjab Livestock Development Board, Mohali 5 opportunity to bring material fact on record before the ld. Commissioner of Income Tax (Appeals). Furthermore, the Department could not bring on record any material evidencing the service of notices to the Assessee. Therefore, in order to provide natural justice to the Assessee, the cases are remanded back to the file of the A.O. with a direction to look into the grievance of the Assessee of non- service of notice on him keeping in view the jurisdictional High Court order in the case of ‘Munjal BCU Centre of Innovation and Entrepreneurship Vs. CIT Chandigarh’ (supra) and to decide these cases afresh on merit, in accordance with law, on affording due and adequate opportunity of hearing to the Assessee. The Assessee, no doubt, shall cooperate in the fresh proceedings before the lower authorities. All pleas available under the law shall remain so available to the assessee. Ordered accordingly.
In the result, for all the assessment years, i.e., 2011-12, 2012-13 and 2013-14, the appeals of the Assessee are allowed for statistical purposes. S.A. Nos. 510 & 511/Chd/2024 (A.Ys. 2011-12 and 2012-13):
Now, we shall deal with the Stay Applications wherein, in both the assessment years, i.e., 2011-12 and 2012-13 request was made
510 to 512-Chd-2024 & S.A. Nos. 14 & 15-Chd-2024 – The Punjab Livestock Development Board, Mohali 6 for Stay of the outstanding demand to the tune of Rs. 2,27,51,826/- for A.Y. 2011-12 and Rs. 1,61,05,561/- for A.Y. 2012-131 respectively till the disposal of the pending appeals.
Since, we have decided the main appeals of the Assessee for the assessment years 2011-12 and 2012-13 in ITA Nos. 510 & 511/Chd/2024 respectively, wherein, the matter has been remanded to the A.O. for adjudication afresh after giving due and reasonable opportunity of hearing to the Assessee, therefore, the Stay Applications moved by the Assessee have become infructuous and they are as such dismissed being infructuous.
In the result, the appeals of the Assessee in all the assessment years are allowed for statistical purposes, whereas, both the Stay Applications moved by the Assessee stand dismissed. Order pronounced on 30.08.2024.
Sd/- Sd/- ( A.D. JAIN ) ( KRINWANT SAHAY) Vice President Accountant Member “आर.के.” आदेश क� ��त�ल�प अ�े�षत / Copy of the order forwarded to : 1. अपीलाथ�/ The Appellant 2. ��यथ�/ The Respondent 3. आयकर आयु�त/ CIT
510 to 512-Chd-2024 & S.A. Nos. 14 & 15-Chd-2024 – The Punjab Livestock Development Board, Mohali 7 4. �वभागीय ��त�न�ध, आयकर अपील�य आ�धकरण, च�डीगढ़/ DR, ITAT, CHANDIGARH 5. गाड� फाईल/ Guard File आदेशानुसार/ By order, सहायक पंजीकार/ Assistant Registrar