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19 results for “condonation of delay”+ Section 202clear

Sorted by relevance

Mumbai141Karnataka126Chennai85Kolkata69Nagpur59Delhi35Bangalore22Hyderabad22Pune21Rajkot19Surat19Jaipur19Ahmedabad14Panaji11Chandigarh7Dehradun7Visakhapatnam5Indore5Varanasi5Jodhpur4Lucknow4Telangana3SC3Patna2Cochin2Rajasthan1Orissa1Allahabad1A.K. SIKRI ROHINTON FALI NARIMAN1Amritsar1Calcutta1Andhra Pradesh1Raipur1

Key Topics

Section 201(1)25Section 271C12Addition to Income11Section 20110Section 143(3)9Section 2639Penalty8Disallowance7Deduction

RAJASTHAN STATE BHARAT SCOUT AND GUIDE,JAIPUR vs. ASSISTANT COMMISSIONER OF INCOME TAX HOLDING CHARGE OF ITO EXEMPTIONS, JAIPUR

In the result, both the appeals of the assessee are partly allowed

ITA 381/JPR/2025[2010-11]Status: DisposedITAT Jaipur16 Jul 2025AY 2010-11

Bench: DR. S. SEETHALAKSHMI (Judicial Member), SHRI RATHOD KAMLESH JAYANTBHAI (Accountant Member)

For Appellant: Shri Nitesh Kumar Gupta, CAFor Respondent: Shri Gautam Singh Choudhary, Addl.CIT-DR
Section 11(5)

condoned by the AO and the id CIT. Further, when the assessee exists solely for educational purposes, therefore, on mere technical issue, the AO should not have made the addition against the assessee. Considering the totality of facts and circumstances. in the light of above decision, we are of the view that the id. CIT(A) correctly allowed the claim

RAJASTHAN STATE BHARAT SCOUT AND GUIDE,JAIPUR vs. INCOME-TAX OFFICER (EXEMPTION), JAIPUR

In the result, both the appeals of the assessee are partly allowed

7
TDS7
Condonation of Delay6
Section 55
ITA 382/JPR/2025[2011-12]Status: DisposedITAT Jaipur16 Jul 2025AY 2011-12

Bench: DR. S. SEETHALAKSHMI (Judicial Member), SHRI RATHOD KAMLESH JAYANTBHAI (Accountant Member)

For Appellant: Shri Nitesh Kumar Gupta, CAFor Respondent: Shri Gautam Singh Choudhary, Addl.CIT-DR
Section 11(5)

condoned by the AO and the id CIT. Further, when the assessee exists solely for educational purposes, therefore, on mere technical issue, the AO should not have made the addition against the assessee. Considering the totality of facts and circumstances. in the light of above decision, we are of the view that the id. CIT(A) correctly allowed the claim

HARIRAM HOSPITAL,ALWAR vs. PCIT, ALWAR

In the result, the appeal of the assessee is allowed

ITA 1535/JPR/2024[2019-20]Status: DisposedITAT Jaipur17 Apr 2025AY 2019-20

Bench: DR. S. SEETHALAKSHMI (Judicial Member), SHRI RATHOD KAMLESH JAYANTBHAI, AM आयकरअपीलसं./ITA No. 1535/JPR/2024 निर्धारणवर्ष / Assessment Year: 2019-20 Hariram Hospital Bye Pass Road Hariram Hospital Bhiwadi, Alwar – 310 019 (Raj) बनाम Vs. The Pr.CIT (Central) Jaipur प्रत्यर्थी / Respondent स्थायीलेखा सं. / जीआईआरसं./PAN/GIR No.: AAFFH 5746 M अपीलार्थी / Appellant निर्धारिती की ओरसे / Assesseeby : Shri Himanshu Goyal, CA राजस्व की ओरसे /Revenue by: Mrs. Alka Gautam, CIT-DR सुनवाई की तारीख / Da

For Appellant: Shri Himanshu Goyal, CAFor Respondent: Mrs. Alka Gautam, CIT-DR
Section 143(3)Section 263

delay.  Prashant Projects Ltd. v. Dy. CIT [2013] 37 taxmann.com 137/145 ITD 202 (Mum - Tribunal):-The expression 'sufficient cause' is not defined in the Act, but it means a cause which is beyond the control of an assessee. For invoking the aid of the section 249, any cause which prevents a person approaching the CIT(A), within time is considered

BANK OF INDIA,JAIPUR vs. ITO TDS-1, JAIPUR, JAIPUR

ITA 641/JPR/2024[2010-11]Status: DisposedITAT Jaipur24 Jul 2024AY 2010-11

Bench: Or At The Time Of Appellate Hearing.”

For Appellant: Sh. Shailesh Mantri, CAFor Respondent: Smt. Monisha Choudhary, Addl. CIT
Section 201Section 201(1)Section 271C

section 201(1) & 201(1A) & 271C of the Income Tax Act [ here in after as Act ] , by ACIT (TDS), Jaipur & ITO, TDS, Circle- 01, Jaipur. Bank of India vs. ITO 2. Since the issues involved in all these appeals are almost identical or interrelated on grounds and on facts. Therefore, these appeals were heard together with the agreement of both

BANK OF INDIA,JAIPUR vs. ITO TDS-1, JAIPUR, JAIPUR

ITA 639/JPR/2024[2009-10]Status: DisposedITAT Jaipur24 Jul 2024AY 2009-10

Bench: Or At The Time Of Appellate Hearing.”

For Appellant: Sh. Shailesh Mantri, CAFor Respondent: Smt. Monisha Choudhary, Addl. CIT
Section 201Section 201(1)Section 271C

section 201(1) & 201(1A) & 271C of the Income Tax Act [ here in after as Act ] , by ACIT (TDS), Jaipur & ITO, TDS, Circle- 01, Jaipur. Bank of India vs. ITO 2. Since the issues involved in all these appeals are almost identical or interrelated on grounds and on facts. Therefore, these appeals were heard together with the agreement of both

BANK OF INDIA,JAIPUR vs. ADDL.CIT(TDS), JAIPUR, JAIPUR

ITA 643/JPR/2024[2010-11]Status: DisposedITAT Jaipur24 Jul 2024AY 2010-11

Bench: Or At The Time Of Appellate Hearing.”

For Appellant: Sh. Shailesh Mantri, CAFor Respondent: Smt. Monisha Choudhary, Addl. CIT
Section 201Section 201(1)Section 271C

section 201(1) & 201(1A) & 271C of the Income Tax Act [ here in after as Act ] , by ACIT (TDS), Jaipur & ITO, TDS, Circle- 01, Jaipur. Bank of India vs. ITO 2. Since the issues involved in all these appeals are almost identical or interrelated on grounds and on facts. Therefore, these appeals were heard together with the agreement of both

BANK OF INDIA,JAIPUR vs. ITO TDS-1, JAIPUR, JAIPUR

ITA 642/JPR/2024[2010-11]Status: DisposedITAT Jaipur24 Jul 2024AY 2010-11

Bench: Or At The Time Of Appellate Hearing.”

For Appellant: Sh. Shailesh Mantri, CAFor Respondent: Smt. Monisha Choudhary, Addl. CIT
Section 201Section 201(1)Section 271C

section 201(1) & 201(1A) & 271C of the Income Tax Act [ here in after as Act ] , by ACIT (TDS), Jaipur & ITO, TDS, Circle- 01, Jaipur. Bank of India vs. ITO 2. Since the issues involved in all these appeals are almost identical or interrelated on grounds and on facts. Therefore, these appeals were heard together with the agreement of both

BANK OF INDIA,JAIPUR vs. ADDL.CIT(TDS), JAIPUR, JAIPUR

ITA 640/JPR/2024[2010-11]Status: DisposedITAT Jaipur24 Jul 2024AY 2010-11

Bench: Or At The Time Of Appellate Hearing.”

For Appellant: Sh. Shailesh Mantri, CAFor Respondent: Smt. Monisha Choudhary, Addl. CIT
Section 201Section 201(1)Section 271C

section 201(1) & 201(1A) & 271C of the Income Tax Act [ here in after as Act ] , by ACIT (TDS), Jaipur & ITO, TDS, Circle- 01, Jaipur. Bank of India vs. ITO 2. Since the issues involved in all these appeals are almost identical or interrelated on grounds and on facts. Therefore, these appeals were heard together with the agreement of both

M/S. OM SHIV PROPERTIES PVT. LTD,JAIPUR vs. ITO, WARD -6(1), JAIPUR

In the result, appeal of the assessee is allowed for statistical purposes

ITA 306/JPR/2020[2014-15]Status: DisposedITAT Jaipur11 Jan 2023AY 2014-15

Bench: HON’BLE SHRI SANDEEP GOSAIN (Judicial Member)

For Appellant: Shri Sunil Gogra, C.AFor Respondent: Ms Monisha Choudhary (JCIT)
Section 249Section 40A(3)Section 5

202 days in filing the present appeal. In support of condonation of delay, an Affidavit of Shri Phool Chand Chaudhary, Executive Director 3 M/s. Om Shiv Properties Pvt. Ltd., Jaipur. of assessee company along with an application dated 28.10.2020 under section

JODHPUR DEVELOPMENT AUTHORITY,JODHPUR vs. DCIT (EXEMPTION), JAIPUR

In the result, the appeal in ITA no

ITA 665/JPR/2023[2009-10]Status: DisposedITAT Jaipur26 Apr 2024AY 2009-10

Bench: DR. S. SEETHALAKSHMI (Judicial Member), SHRI RATHOD KAMLESH JAYANTBHAI, AM vk;djvihy la-@ITA No. 665 & 666/JPR/2023 fu/kZkj.ko"kZ@Assessment Years : 2009-10 & 2013-14 Jodhpur Development Authority 1, Opposite Railway Hospital, JDA Circle, Jodhpur. cuke Vs. Deputy Commissioner of Income Tax, Exemption, Jodhpur. LFkk;hys[kk la-@thvkbZvkj la-@PAN/GIR No.: AAALJ 0478 P vihykFkhZ@Appellant izR;FkhZ@Respondent fu/kZkfjrh dh vksjls@Assesseeby : Shri Amit Kothari (C.A.) jktLo dh vksjls@Revenue by:

For Appellant: Shri Amit Kothari (C.A.)For Respondent: Shri Ajay Malik (CIT)
Section 11Section 143(3)Section 234A

condonation of delay and granting the registration from retrospective effect if the trust is carrying on the activities in accordance with its deed and other conditions are being duly complied with. 1.8. It is respectfully submitted that amendment brought in section 12A and explanatory notes thereon, even is a assessee gets registration u/s 12A at a later stage, and there

JODHPUR DEVELOPMENT AUTHORITY,JODHPUR vs. DCIT (EXEMPTION), JAIPUR

In the result, the appeal in ITA no

ITA 666/JPR/2023[2013-14]Status: DisposedITAT Jaipur26 Apr 2024AY 2013-14

Bench: DR. S. SEETHALAKSHMI (Judicial Member), SHRI RATHOD KAMLESH JAYANTBHAI (Accountant Member)

For Appellant: Shri Amit Kothari (C.A.)For Respondent: Shri Ajay Malik (CIT)
Section 11Section 143(3)Section 234A

condonation of delay and granting the registration from retrospective effect if the trust is carrying on the activities in accordance with its deed and other conditions are being duly complied with. 1.8. It is respectfully submitted that amendment brought in section 12A and explanatory notes thereon, even is a assessee gets registration u/s 12A at a later stage, and there

ASSISTANT COMMISSIONER OF INCOME TAX , CIRCLE-1, KOTA vs. SHRI GANPATI DEVELOPERS, KOTA

In the result, both i.e. appeal of the Revenue and C

ITA 1348/JPR/2018[2015-16]Status: DisposedITAT Jaipur30 Mar 2021AY 2015-16

Bench: Shri Sandeep Gosain, Jm & Shri Vikram Singh Yadav, Am Vk;Dj Vihy La-@Ita No. 1348/Jp/2018 Fu/Kzkj.K O"Kz@Assessment Year :2015-16 A.C.I.T., Cuke M/S Shri Ganpati Developers, Vs. Circle-1, C-150, Road No. 5, I.P.I.A., Kota. Kota. Lfkk;H Ys[Kk La-@Thvkbzvkj La-@Pan/Gir No.: Abzfs 8967 Q Vihykfkhz@Appellant Izr;Fkhz@Respondent

For Appellant: Shri Rajiv Sogani (CA) &For Respondent: Smt. Rooni Paul (Addl.CIT-DR) fu/kZkfjrh dh vksj ls@
Section 143(3)

202 after a cutting of Brajesh's name) the transaction for this flat is complete as the cheque is received on 10.08.2012, then why wrong names appear in the sheet is not clarified by the A.O. Page 32 & 33 is agreement for flat no. 101 by Sh. Anil Mundra & Sh. Ashok Sharma partners & the purchaser column is blank. Page

BHANU PARKASH BANSAL,JAIPUR vs. ITO, WARD2(3), JAIPUR

In the result, all the three appeals of the assessee in ITA No

ITA 133/JPR/2023[2018-19]Status: DisposedITAT Jaipur10 May 2023AY 2018-19

Bench: DR. S. SEETHALAKSHMI (Judicial Member), SHRI RATHOD KAMLESH JAYANTBHAI (Accountant Member)

For Appellant: None (E written submission)For Respondent: Shri A.S. Nehra, Addl. CIT
Section 143(1)(a)Section 143(3)Section 36(1)(va)Section 5

condonation of delay wherein the Bench does not find any sufficient and reasonable cause for late filing the appeal by the assessee. Hence, the same is dismissed. 3.1 Now the Bench feels that the case of the assessee should also be adjudicated upon on merit wherein the crux of the issue in the appeal relates to late deposit of employees

DCIT, CIRCLE-6, JAIPUR, NCRB, JAIPUR vs. PARADISE PROPERTIES, SAROJNI MARG, JAIPUR

In the result appeal filed by the revenue is partly allowed

ITA 324/JPR/2024[2017-18]Status: DisposedITAT Jaipur11 Sept 2024AY 2017-18

Bench: The Ld. Cit(A).

For Appellant: Shri S. L. Poddar, AdvFor Respondent: Shri Arvind Kumar, CIT
Section 115BSection 143(3)Section 68

delay of 53 days in filing the cross objection by the assessee is condoned in view of the decision of Hon’ble Supreme Court in the case of Collector, land Acquisition vs. Mst. Katiji and Others, 167 ITR 471 (SC) as the assessee is prevented by sufficient cause. 6 Succinctly, the fact as culled out from the records is that

BANK OF INDIA,JAIPUR vs. ADDL.CIT(TDS), JAIPUR, JAIPUR

In the result, the appeal of the assesee is allowed for statistical purposes

ITA 829/JPR/2024[2009-10]Status: DisposedITAT Jaipur18 Sept 2024AY 2009-10

Bench: The Bench. However, The Ld. Ar Of The Assessee Has Filed An Application For Condonation Of Delay With Following Prayer. ‘’’…It Is To Submit That The Cit(A) Order Was Passed On 26-10-2022 & Was Issued On The E-Mail Of The Bank. It Did Not Come To The Notice As The Bank System Marked The E-Mail As Spam Mail & Transferred The Same To Spam Folder. On Being Aware, We Requested For True & Certified Copy Of The Order & Received True & Certified Copy Of The Order On 06-04-2024 & Submitted Appeal Before Your Goodself On 31-05-2024 At Online Portal.

For Appellant: Shri Shailesh Mantri, CAFor Respondent: Mrs. Monisha Choudhary, Addl. CIT-DR
Section 249(3)Section 271Section 271CSection 273BSection 5

202, Govardhan Jaipur Colony, Opp. Sanjivini Hospital, Jaipur LFkk;h ys[kk la-@thvkbZvkj la-@PAN/GIR No.: JPRB02554G vihykFkhZ@Appellant izR;FkhZ@Respondent fu/kZkfjrh dh vksj ls@Assessee by : Shri Shailesh Mantri, CA jktLo dh vksj ls@Revenue by: Mrs. Monisha Choudhary, Addl. CIT-DR lquokbZ dh rkjh[k@Date of Hearing : 22/07/2024 mn?kks"k.kk dh rkjh[k@Date

INCOME TAX OFFICER, JAIPUR vs. RVCF TRUST-II, JAIPUR, JAIPUR

In the result, the appeal of the Revenue is dismissed

ITA 198/JPR/2022[2011-12]Status: DisposedITAT Jaipur31 Oct 2022AY 2011-12

Bench: The Income Tax Appellate Tribunal, Jaipur Within 30 Days I.E. On Or Before 13.06.2022. In View Of The Above The Physical Appeal Was Filed On 19.05.2022 Well Before 12.06.2022 As Directed In The Said Mail.

For Appellant: Shri Anil Goyal (CA) &For Respondent: Shri Sanjay Dhariwal (CIT) a
Section 10Section 143(1)Section 143(2)Section 166Section 199Section 2(15)

delay of 3 days in filing the appeal by the Revenue is condoned. 4. The Revenue raised the following grounds of appeal:- “1. Whether on the facts and circumstances of the case and in law, the CIT(A) was justified in treating the assessee as representative assessee while it should be treated as AOP, because it has derived income which

ITO, WAR-4(1), JAIPUR vs. SHRI AMIT AGARWAL, JAIPUR

In the result, this appeal of the Revenue is dismissed

ITA 267/JPR/2020[2014-15]Status: DisposedITAT Jaipur13 Sept 2021AY 2014-15

Bench: Shri Sandeep Gosain, Jm & Shri Vikram Singh Yadav, Am

For Appellant: Shri G.M. Mehta (CA)For Respondent: Shri B.K. Gupta (PCIT-DR) fu/kZkfjrh dh vksj ls@
Section 143(3)Section 41Section 41(1)Section 68

condoned. 3 ITA 267/JP/2020_ ITO Vs Amit Agarwal 4. The brief facts of the case are that the assessee is proprietor of M/s Nandi International and engaged in import and trading of Glass Chaton, Glass beads and silver jewellery. The assessee filed his return of income on 27/09/2014 declaring total income of Rs. 9,01,270/-. The case

SUPERFINE HOTELS PRIVATE LIMITED,JAIPUR vs. DEPUTY COMMISSIONER OF INCOME TAX, CIRCLE-6,, JAIPUR

In the result, appeal of the assessee is partly allowed

ITA 1502/JPR/2024[2015-16]Status: DisposedITAT Jaipur22 Apr 2025AY 2015-16
For Appellant: Shri S.L. Poddar, Adv. &For Respondent: Shri P.P. Meena, CIT
Section 250Section 271(1)(c)Section 35A

condone the delay of 58 days in filing the\nappeal before us.\n4.\nThe brief facts of the case are that the assessee the assessee is a\ncompany engaged in hotel business. The assessee filed its return of\nincome on 30.09.2015 declaring loss of Rs. (-) 15,24,86,880/-. A search\nwas conducted on 30.10.2014 in the case

PROFESSIONAL AUTOMOTIVES PRIVATE LIMITED,JAMMU vs. ASSISTANT COMMISSIONER OF INCOME TAX, CENTRAL CIRCLE-1, JAIPUR

In the result the appeal of the assessee in ITA no

ITA 812/JPR/2025[2016-17]Status: DisposedITAT Jaipur23 Jul 2025AY 2016-17

Bench: DR. S. SEETHALAKSHMI (Judicial Member), SHRI RATHOD KAMLESH JAYANTBHAI, आयकर अपील /ITA Nos.809 to 815/JP/2025 निर्धारण वर्ष /Assessment Years :2013-14 to 2019-20 Professional Automotives Pvt. बनाम ACIT, Ltd. Bahu Plaza, Bahu Plaza, Jammu Vs. Central Circle- 1, and Kashmir Jaipur स्थायी लेखा सं./जी.आई.आर. सं./PAN/GIR No.:AAACP9608E अपीलार्थी/Appellant प्र]त्यर्थी/Respondent निर्धारिती की ओर से / Assessee by :Shri Tarun Mittal, CA राजस्व की ओर से /Revenue by: Shri Ajey Malik, CIT (Th. V.C)

For Appellant: Shri Tarun Mittal, CAFor Respondent: Shri Ajey Malik, CIT (Th. V.C)
Section 143(3)Section 37(1)

Section 194 and 200 were challenged. It was noted in P. RatnakarRao and others V. Govt. Of A.P. and others (1996 (5) SCC 359) that the discretion given under Section 200(1) to the State Government to prescribe maximum rates for compounding the offence is not unguided, uncanalised and arbitrary. It was, inter alia, held as follows: ……………….. ………………. It is indisputable