KULDIP SINGH,RANCHI vs. DCIT/ACIT, CIRCLE-1, RANCHI
In the result, the appeal of the assessee is allowed
ITA 180/RAN/2025[14-15]Status: DisposedITAT Ranchi10 Feb 2026
Bench: Shri Sonjoy Sarma & Shri Ratnesh Nandan Sahayi.T.A. No.180/Ran/2025 Assessment Year: 2014-15 Kuldip Singh…………………….……….……...................……….……Appellant The Avenue Vishnupuri Marg, Upper Burdwan Compound, Lalpur, Ranchi- 834001. [Pan: Agjps6921P] Vs. Dcit/Acit, Circle-1, Ranchi…...…..….........……........……...…..…..Respondent Appearances By: Shri Devesh Poddar, Adv., Appeared On Behalf Of The Appellant. Shri Kailash Gautam, Dr, Appeared On Behalf Of The Respondent. Date Of Concluding The Hearing : February 05, 2026 Date Of Pronouncing The Order : February 10, 2026 Order Per Sonjoy Sarma: This Appeal Filed By The Assessee Is Directed Against The Order Of The Nfac, Delhi (Hereinafter Referred To As “Cit(A)”) Dated 06.03.2025 Passed Under Section 250 Of The Income-Tax Act, 1961 (Hereinafter Referred To As The “Act”).
Section 143(2)Section 143(3)Section 147Section 148Section 250Section 56(2)(vii)
4. Aggrieved, the assessee is in appeal before the Tribunal. The learned Authorised Representative (AR) submitted that in present case of the assessee the original assessment was completed under section 143(3) after full verification. The notice under section 148 dated
22.11.2019 was issued beyond four years from the end of AY 2014–15
and the reasons recorded while issuing