Facts of the Case
The Assistant Commissioner of Income Tax, Allahabad, filed an
appeal before the Income Tax Appellate Tribunal, Allahabad Bench, against the
order passed by the Commissioner of Income Tax (Appeals) in the case of M/s
Madhu Colonisers (P) Ltd., Allahabad. During the hearing, it was observed that
the tax effect involved in the departmental appeal was below the monetary limit
prescribed by the Central Board of Direct Taxes (CBDT) for filing appeals
before the Tribunal.
Issues Involved
Whether a departmental appeal filed before the Tribunal is
maintainable when the tax effect involved is lower than the monetary threshold
prescribed under CBDT’s circular issued under Section 268A of the Income-tax
Act, 1961.
Petitioner’s Arguments (Revenue)
The Revenue relied upon the grounds stated in the memorandum
of appeal and sought adjudication of the issues raised against the order of the
Commissioner (Appeals).
Respondent’s Arguments (Assessee)
- The
tax effect involved in the appeal was below the prescribed monetary limit
- CBDT
circulars issued under Section 268A are binding on the Department
- Therefore,
the appeal was not maintainable and liable to be dismissed
Court Order / Findings
- he
tax effect involved in the departmental appeal was below the monetary
limit prescribed by CBDT for filing appeals before the ITAT
- Circulars
issued under Section 268A are binding on the Revenue authorities
- No
evidence was placed to show that the case fell within any recognized
exception permitting filing of appeal despite low tax effect
Important Clarification
The Tribunal clarified that dismissal of the appeal on account
of low tax effect:
- Does
not amount to affirmation of the merits of the Commissioner (Appeals)’
order
- Does
not bar the Department from contesting the issue in other cases where tax
effect exceeds the prescribed limits or exceptions apply
- Will
not operate as a precedent on substantive issues
Link to download the order – https://itat.gov.in/public/files/upload/1568608636-TAX%20EFFECT%20(ALLAHABAD).pdf
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