Full Judgment Text
$~ SB-1 to 18, 20 to 29, 31 to 34, 36, 37, 39 to 76, 78 to 84, 86 to 93, 96 to 109
* IN THE HIGH COURT OF DELHI AT NEW DELHI
% Decision delivered on: 05.01.2024
+ W.P.(C) 16524/2022
TWYLIGHT INFRASTRUCTURE PVT LTD ..... Petitioner
versus
INCOME TAX OFFICER WARD 25 3
DELHI AND ORS. ..... Respondents
+ W.P.(C) 119/2023
ARUN GARG ..... Petitioner
versus
INCOME TAX OFFICER WARD 35 1 DELHI ..... Respondent
+ W.P.(C) 387/2023
R.P. BASIA & CO. ..... Petitioner
versus
INCOME TAX OFFICER WARD 34(1) NEW DELHI... Respondent
+ W.P.(C) 720/2023
SUSHMA GOEL ..... Petitioner
versus
INCOME TAX OFFICER, WARD 59(6),
DELHI & ORS. ..... Respondents
+ W.P.(C) 992/2023
ADA NEWS IN SHORTS PVT LTD ..... Petitioner
Versus
ASSISTANT COMMISSIONER OF
INCOME TAX & ORS. ..... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 1 of 28
+ W.P.(C) 1006/2023
ABHINAV JINDAL ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX CIRCLE 52 1 DELHI ..... Respondent
+ W.P.(C) 1543/2023
MANGLA GUPTA ..... Petitioner
versus
INCOME TAX OFFICER, WARD 36(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 1566/2023
VANITA GULATI ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX CIRCLE 49(1), DELHI & ORS. ..... Respondents
+ W.P.(C) 1705/2023
SMT. SANTOSH GARG ..... Petitioner
versus
INCOME TAX OFFICER, WARD 58(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 1813/2023
RAHUL GOEL ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX, CIRCLE 43(1), DELHI & ORS. ..... Respondents
+ W.P.(C) 1938/2023
MS RAMSONS ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 2 of 28
TAX CIRCLE 49 (1) DELHI ..... Respondent
+ W.P.(C) 1974/2023
MS RAMSONS ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX CIRCLE 49 (1) DELHI ..... Respondent
+ W.P.(C) 2047/2023
E-SQUARE ALLIANCE PVT. LTD. ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX CIRCLE 7(1), DELHI & ORS. ..... Respondents
+ W.P.(C) 2449/2023
RAJEEV GOEL HUF ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX, CIRCLE 43(1), DELHI & ORS. ..... Respondents
+ W.P.(C) 2558/2023
ASP DEVELOPERS PRIVATE LIMITED ..... Petitioner
versus
ITO WARD 1 (1) NEW DELHI & ANR. ..... Respondents
+ W.P.(C) 2631/2023
SANTOSH INFRATECH PRIVATE LIMITED ..... Petitioner
versus
INCOME TAX OFFICER, WARD 22(3),
DELHI & ORS. ..... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 3 of 28
+ W.P.(C) 2735/2023
NALINI GULATI ..... Petitioner
versus
INCOME TAX OFFICER, WARD 70(1),
DELHI & ORS.
..... Respondents
+ W.P.(C) 2812/2023
SANGITA GARG ..... Petitioner
versus
INCOME TAX OFFICER, WARD 59(3),
DELHI & ORS. ..... Respondents
+ W.P.(C) 2862/2023
ARCHNA KHATRI ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX, CIRCLE 28(1), DELHI & ORS. ..... Respondents
+ W.P.(C) 2874/2023 & CM Appl.11170/2023
GAMUT COMMERCIALS PRIVATE LIMITED ..... Petitioner
versus
ITO WARD 10 (1) NEW DELHI & ANR. ..... Respondents
+ W.P.(C) 2876/2023
SRKK ASSOCIATES PRIVATE LIMITED ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX CIRCLE 22(2), DELHI & ORS. ..... Respondents
+ W.P.(C) 2898/2023
KHANNA COIR PRODUCTS LIMITED ..... Petitioner
versus
INCOME TAX OFFICER, WARD 14(3),
DELHI & ORS. . .... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 4 of 28
+ W.P.(C) 2967/2023
BRIJ MOHAN BARWAL ..... Petitioner
versus
ITO WARD 61 (1) NEW DELHI & ANR. ..... Respondents
+ W.P.(C) 3001/2023
OSS INFOCOM PRIVATE LIMITED ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME
TAX CIRCLE 19(1) DELHI & ANR. ..... Respondents
+ W.P.(C) 3009/2023
SONIA BARWAL ..... Petitioner
versus
ITO WARD 61 (1) NEW DELHI & ANR. ..... Respondents
+ W.P.(C) 3160/2023
ALOK INFRA.BUILDERS PRIVATE LIMITED ..... Petitioner
versus
UNION OF INDIA & ORS. ..... Respondents
+ W.P.(C) 3171/2023
ISRAR ALI KHAN ..... Petitioner
versus
ITO WARD 28 (5) NEW DELHI & ANR. ..... Respondents
+ W.P.(C) 3295/2023 & CM Apl.12817/2023
VIJAY KHEMKA ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 58(1)
DELHI & ORS. ..... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 5 of 28
+ W.P.(C) 3335/2023
VISHAL JEWELLERS ..... Petitioner
versus
ACIT CIRCLE 43(1) DELHI & ANR. . .... Respondents
+ W.P.(C) 3338/2023
SAURAV BANSAL ..... Petitioner
versus
ITO WARD 43(6) DELHI & ANR. ..... Respondents
+ W.P.(C) 3414/2023
AZAM AHMED ..... Petitioner
versus
INCOME TAX OFFICER, WARD 46(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 3546/2023
KAILASH RANI ..... Petitioner
versus
INCOME TAX OFFICER WARD 60(1) & ANR. ..... Respondents
+ W.P.(C) 3677/2023
RAKESH SINGLA HUF ..... Petitioner
versus
INCOME TAX OFFICER, WARD 58 -3 DELHI ..... Respondent
+ W.P.(C) 3678/2023
SUDERSHAN KUMAR SINGLA HUF ..... Petitioner
versus
INCOME TAX OFFICER, WARD 58 - 3 DELHI ..... Respondent
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 6 of 28
+ W.P.(C) 3877/2023
DEEPTI AHLAWAT ..... Petitioner
versus
INCOME TAX OFFICER, WARD 29-1 & ORS. ..... Respondents
+ W.P.(C) 3880/2023
BHARAT BHUSHAN ..... Petitioner
versus
ACIT, CIRCLE 43(1), DELHI & ANR. ..... Respondents
+ W.P.(C) 3881/2023
ATUL SINGLA HUF ..... Petitioner
versus
ITO WARD 43(6) DELHI & ANR. ..... Respondents
+ W.P.(C) 3882/2023
SAURAV BANSAL ..... Petitioner
versus
ITO WARD 43(6) DELHI & ANR. ..... Respondents
+ W.P.(C) 3893/2023 & CM Nos.15110-11/2023
NITIN SAXENA ..... Petitioner
versus
INCOME TAX OFFICER, WARD 49-1, DELHI ..... Respondent
+ W.P.(C) 3894/2023, CM Nos.15112/2023 & 42622/2023
NEERAJ SINGLA ..... Petitioner
versus
ITO WARD 43(6) DELHI & ANR. ..... Respondents
+ W.P.(C) 3896/2023 & CM No.30261/2023
ANURADHA KHAN ..... Petitioner
versus
INCOME TAX OFFICER WARD 28(5) & ANR. ..... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 7 of 28
+ W.P.(C) 3997/2023 & CM No.743/2024
C.E. INFO SYSTEMS LIMITED ..... Petitioner
versus
DEPUTY COMMISSIONER OF INCOME TAX,
CIRCLE 4(2), NEW DELHI AND ORS ..... Respondents
+ W.P.(C) 4001/2023
RAKESH KUMAR VERMA ..... Petitioner
versus
DEPUTY COMMISSIONER OF INCOME TAX,
CIRCLE 4(2), NEW DELHI AND ORS ..... Respondents
+ W.P.(C) 4003/2023 & CM No.15556/2023
SACHIT KUMAR SAHIJPAL ..... Petitioner
versus
ASSISTNAT COMMISSIONER OF INCOME TAX,
CIRCLE 49 1 DELHI AND ANR ..... Respondents
+ W.P.(C) 4177/2023
MOHAMMAD SHAFIQUDDIN ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 46(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 4342/2023
CHELSEA BLOCKS AND PIPES PRIVATE LIMITED..... Petitioner
versus
DEPUTY COMMISSIONER OF INCOME TAX, CIRCLE 4(2),
DELHI & ORS. ..... Respondents
+ W.P.(C) 4369/2023 & CM Appl.16844/2023
DEVSHI EARTHMOVERS PRIVATE LIMITED ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CENTRAL
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 8 of 28
CIRCLE-8, DELHI & ANR. ..... Respondents
+ W.P.(C) 4377/2023
MK JAIN HUF ..... Petitioner
versus
INCOME TAX OFFICER, WARD 44(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 4403/2023
JYOTI GUPTA ..... Petitioner
versus
INCOME TAX OFFICER WARD 44(6)
NEW DELHI ..... Respondent
+ W.P.(C) 4440/2023
RAJEEV KUMAR CHAHAL ..... Petitioner
versus
INCOME TAX OFFICER WARD 44(6),
DELHI AND ORS. ..... Respondents
+ W.P.(C) 4443/2023
ROOP DIAMOND HOUSE PRIVATE LIMTED ..... Petitioner
versus
INCOME TAX OFFICER & ANR. ..... Respondents
+ W.P.(C) 4487/2023 & CM Appl.17171/2023
MANOJ MITTAL ..... Petitioner
versus
UNION OF INDIA & ORS. ..... Respondents
+ W.P.(C) 4564/2023 & CM Appl.17379/2023
ANJANI STEELS LIMITED ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 1(1),
DELHI & ORS. ..... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 9 of 28
+ W.P.(C) 4573/2023 & CM Appl.17413/2023
S A S FININVEST LLP ..... Petitioner
versus
INCOME TAX OFFICER WARD 30(5), DELHI
& ORS. ..... Respondents
+ W.P.(C) 4607/2023 & CM Appl.17593/2023
SHIV KUMAR GOEL ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 22(2)
DELHI & ANR. ..... Respondents
+ W.P.(C) 4614/2023 & CM Appl.17601/2023
TANAY GAUR ..... Petitioner
versus
INCOME TAX OFFICER WARD 50(1) & ORS. ..... Respondents
+ W.P.(C) 4636/2023 & CM Appl.17731/2023
UMA GOEL ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 22(2)
DELHI & ANR. ..... Respondents
+ W.P.(C) 5121/2023 & CM Appl.20030/2023
KRBL LIMITED. ..... Petitioner
versus
DEPUTY COMMISSIONER OF INCOME TAX CIRCLE 13-1 &
ORS. ..... Respondents
+ W.P.(C) 5231/2023 & CM Appl.33987/2023
RITIKA GARG ..... Petitioner
versus
ACIT, CIRCLE 43(1) DELHI & ANR. ..... Respondents
+ W.P.(C) 5531/2023 & CM Appl.21637/2023
NEERU JAIN ..... Petitioner
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 10 of 28
versus
INCOME TAX OFFICER WARD 29(1), DELHI
& ORS. ..... Respondents
+ W.P.(C) 5642/2023 & CM Appl.22121/2023
UPENDRA GULATI AND SONS HUF ..... Petitioner
versus
INCOME TAX OFFICER, WARD 30(5),
DELHI & ORS. ..... Respondents
+ W.P.(C) 5973/2023 & CM Appl.23465/2023
VARUN DAHIYA ..... Petitioner
versus
INCOME TAX OFFICER WARD 34(5) & ORS. ..... Respondents
+ W.P.(C) 5978/2023 & CM Appl.23474/2023
PARVEEN DEVI ..... Petitioner
versus
INCOME TAX OFFICER WARD 44-1 & ORS. ..... Respondents
+ W.P.(C) 5990/2023 & CM Appl.23498/2023
VARUN DAHIYA ..... Petitioner
versus
INCOME TAX OFFICER WARD 34(5) & ORS. ..... Respondents
+ W.P.(C) 6182/2023 & CM Appl.24308/2023
GEETU BHATIA ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX, CIRCLE 43(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 6252/2023 & CM Appl.24583/2023
WELCOME SHOES PVT. LTD. ..... Petitioner
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 11 of 28
versus
INCOME TAX OFFICER, WARD-27(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 6256/2023, CM Nos.24591/2023 & 742/2024
SANDEEP PAHWA ..... Petitioner
versus
INCOME TAX OFFICER WARD 35(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 6436/2023 & CM Appl.25325/2023
NARULA CHEMIST AGENCIES ..... Petitioner
versus
ACIT, CIRCLE - 34(1) DELHI & ANR. ..... Respondents
+ W.P.(C) 6440/2023 & CM Appl.25332/2023, 33986/2023
SANGEETA SAHNI ..... Petitioner
versus
INCOME TAX OFFICER & ANR. ..... Respondents
+ W.P.(C) 6450/2023 & CM Appl.25355/2023
DEVSHI EARTHMOVERS PRIVATE LIMITED ..... Petitioner
versus
DEPUTY/ASSISTANT COMMISSIONER OF INCOME TAX,
CENTRAL CIRCLE 8 & ORS. ..... Respondents
+ W.P.(C) 6453/2023
OPEN ONLINE SECURITIES PVT. LTD. ..... Petitioner
versus
ASSISTANT COMMISIONER OF INCOME TAX CIRCLE-19(1),
NEW DELHI & ANR. ..... Respondents
+ W.P.(C) 6532/2023 & CM Appl.25657/2023
NITIN GARG ..... Petitioner
versus
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 12 of 28
INCOME TAX OFFICER WARD 43(1) DELHI ..... Respondent
+ W.P.(C) 6543/2023 & CM Appl.25674/2023
GAURAV KUMAR KHANNA ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME-TAX CIRCLE 70-1
DELHI ORS. ..... Respondent
+ W.P.(C) 6633/2023 & CM Appl.26032/2023
HARSH VARDHAN BANSAL ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 43(1),
NEW DELHI & ANR. ..... Respondents
+ W.P.(C) 6644/2023 & CM Appl.26056/2023
M/S ATULYA REALTY VENTURES PRIVATE LIMITED
..... Petitioner
versus
COMMISSIONER OF INCOME TAX & ORS. ..... Respondents
+ W.P.(C) 6656/2023 & CM Appl.26078/2023
AKHIL SINGLA ..... Petitioner
versus
ACIT CIRCLE 19(1), DELHI & ANR. ..... Respondents
+ W.P.(C) 6657/2023 & CM Appl.26080/2023
MEENU BANSAL ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 43(1),
NEW DELHI & ANR. ..... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 13 of 28
+ W.P.(C) 6660/2023 & CM Appl.26086/2023
MAHIPAL SINGH ..... Petitioner
versus
INCOME TAX OFFICER WARD 68 5 DELHI ..... Respondent
+ W.P.(C) 6668/2023 & CM Appl.26112/2023
SANDHAR TECHNOLOGIES LIMITED ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX, CIRCLE 10(1),
NEW DELHI & ORS. ..... Respondents
+ W.P.(C) 6794/2023 & CM Appl.26541/2023
VK GLOBAL PUBLICATIONS PRIVATE LIMITED.... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 25(1),
DELHI & ANR. ..... Respondents
+ W.P.(C) 6894/2023 & CM Appl.26875/2023
KAPIL GARG ..... Petitioner
versus
INCOME TAX OFFICER WARD 43(6) DELHI ..... Respondent
+ W.P.(C) 6967/2023, CM Nos.27136/2023 & 741/2024
RAJESH GUPTA ..... Petitioner
versus
ITO WARD 35 (1) DELHI & ANR. ..... Respondents
+ W.P.(C) 6981/2023 & CM Appl.27176/2023
M/S CHANDRAMAULI BUILDCON
PRIVATE LIMITED ..... Petitioner
versus
INCOME TAX OFFICER WARD-6(1), DELHI ..... Respondent
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 14 of 28
+ W.P.(C) 7046/2023 & CM Appl.27413/2023
TIA ENTERPRISES PVT LTD ..... Petitioner
versus
INCOME TAX OFFICER WARD, 25(3) DELHI ..... Respondent
+ W.P.(C) 7050/2023 & CM Appl.27421/2023
SONAM GARG ..... Petitioner
versus
INCOME TAX OFFICER WARD 34(1)
DELHI & ANR. ..... Respondents
+ W.P.(C) 7085/2023 & CM Appl.27582, 35438/2023
DHAWAN EXIM PRIVATE LIMITED ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX, CIRCLE-7(1),
DELHI & ANR. ..... Respondents
+ W.P.(C) 7096/2023 & CM Appl.27617/2023
KATHURIA CASTINGS PRIVATE LIMITED ..... Petitioner
versus
INCOME TAX OFFICER & ORS. ..... Respondents
+ W.P.(C) 7145/2023 & CM Appl.27869/2023
VIKAS SPOOL PVT.LTD ..... Petitioner
versus
INCOME TAX OFFICER, WARD-26(3) ..... Respondent
+ W.P.(C) 7146/2023 & CM Appl.27871/2023
ROOP DIAMOND HOUSE PRIVATE LIMITED ..... Petitioner
versus
INCOME TAX OFFICER WARD 21-1 DELHI
& ANR. ..... Respondents
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 15 of 28
+ W.P.(C) 7169/2023 & CM Appl.27935/2023
KASHISH AGGARWAL ..... Petitioner
versus
INCOME TAX OFFICER, WARD 36(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 7174/2023 & CM Appl.27952/2023
SAKSHI GOEL ..... Petitioner
versus
INCOME TAX OFFICER AND ANR ..... Respondents
+ W.P.(C) 7259/2023 & CM Appl.28256/2023
KULDIP SINGH GULATI ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX, CIRCLE 25(1),
DELHI & ORS. ..... Respondents
+ W.P.(C) 7289/2023 & CM Appl.28334/2023
RAJESH GUPTA HUF ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX
& ORS ..... Respondents
+ W.P.(C) 7326/2023 & CM Appl.28506/2023
KANTA JAIN ..... Petitioner
versus
INCOME TAX OFFICER, WARD- 30(5),
DELHI & ORS. ..... Respondents
+ W.P.(C) 7375/2023 & CM Appl.28730/2023
VIRAT CREDIT AND HOLDINGS PVT LTD ..... Petitioner
versus
ASSISTANT COMMISSIONER OF INCOME TAX OFFICER
CIRCLE 25(1) & ORS. ..... Respondents
+ W.P.(C) 7443/2023 & CM Appl.28932/2023
ALPS INVESTMENTS PRIVATE LIMITED ..... Petitioner
versus
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 16 of 28
ASSISTANT COMMISSIONER OF INCOME TAX CIRCLE 1(1),
DELHI & ANR. ..... Respondents
+ W.P.(C) 7471/2023
E S P SAFETY PRIVATE LIMITED ..... Petitioner
versus
INCOME TAX OFFICER ..... Respondent
+ W.P.(C) 7497/2023 & CM Appl.29093/2023
SWIFT REALTECH PRIVATE LIMITED ..... Petitioner
versus
INCOME TAX OFFICER, WARD-22(3),
DELHI & ANR. ..... Respondents
+ W.P.(C) 7529/2023 & CM Appl.29209/2023
LNG AGRICOM PRIVATE LIMITED ..... Petitioner
versus
UNION OF INDIA AND ORS. ..... Respondents
+ W.P.(C) 7576/2023 & CM Appl.33987/2023
MIS MARS COMMODITIES PRIVATE LIMITED..... Petitioner
versus
INCOME TAX OFFICER, WARD 16(3),
DELHI & ANR. ..... Respondents
+ W.P.(C) 7598/2023 & CM Appl.29441/2023
CARISSA INVESTMENTS PVT. LTD. ..... Petitioner
versus
UNION OF INDIA AND ANR. ..... Respondents
Counsel for Petitioners : Ms Kavita Jha and Mr Anant Mann, Advs in
WP(C) 7289/2023.
Mr Kapil Goel and Mr Sandeep Goel, Advs. in W.P.(C) 16524/2022,
1006/2023, 119/2023 & 387/2023.
Mr Ruchesh Sinha and Ms Monalisa Maity, Advs. in W.P.(C)
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 17 of 28
2558/2023, 2967/2023, 3009/2023, 3171/2023, 3546/2023 &
3896/2023.
Mr Salil Kapoor, Ms Ananya Kapoor, Mr Sanat Kapoor, Mr Sumit
Lalchandani, Mr Tarun Chanana and Mr Shivam Yadav, Advs. in
W.P.(C) 3877/2023, 3893/2023, 3997/2023, 4001/2023, 3677/2023 &
3678/2023.
Mr Ved Jain, Mr Nischay Kantoor and Mr Animesh Tripathi, Advs. in
W.P.(C) 1543/2023, 1566/2023, 720/2023, 1705/2023, 1813,
2047/2023, 2449/2023, 2631/2023, 2735/2023, 2812/2023,
2862/2023, 2876/2023, 2898/2023 & 3414/2023.
Mr Akhilesh Kumar with Mr Vipin Garg, Advs. for petitioner in
W.P.(C) 3160/2023 & W.P.(C) 3877/2023.
Mr Abhishek Garg, Mr Yash Gaiha and Mr Ramesh Mankotia, Advs.
for petitioner in W.P.(C)No.3001/2023.
Mr Nagesh Kumar Behl, Adv. for petitioner in
W.P.(C)Nos.3335/2023 & 3338/2023.
Mr Nitin Gulati, Adv. in W.P.(C) 4614/2023.
Mr Keshav Dwivedi, Adv. in W.P.(C) 3295/2023.
Mr Manibhadra Jain, Adv. in W.P.(C) 4487/2023.
Mr Mayank Pachauri, Adv. in W.P.(C) 3880-3882, 3893/2023.
Mr Gaurav Gupta, Adv. in W.P.(C) 4003/2023.
Mr T Shivakumar with Ms Kirti Kishore and Ms Sanjana, Advs. in
W.P.(C) nos. 4607, 4636/2023.
Mr Pankaj Kumar Saxena, Adv. in W.P.(C) 3295/2023.
Mr Gautam Jain with Mr Piyush Kumar Kamal, Advs. in W.P.(C)
7174, 7279/2023.
Ms Ragini Handa with Mr Ujjwal Jain, Advs. in W.P.(C) 6453,
7497/2023.
Mr Manuj Sabharwal with Ms Shalini, Advs. in W.P.(C) 6543/2023.
Mr Ajay Wadhwa with Mr Snehil Jha and Mr Ujjawal Jain, Advs. in
W.P.(C) nos.6453, 7085, 7497/2023.
Mr Anmol Jagga, Adv. in W.P.(C) 7529/2023.
Mr Varun Nagrath and Mr Abhishek Anand, Advocates for petitioner
in WP(C) 7096/2023.
Counsel for Respondents: Mr Sunil Agarwal, Sr Standing Counsel
with Mr Shivansh B. Pandya, Jr Standing Counsel and Mr Utkarsh
Tiwari, Adv. in W.P.(C) 2631/2023, 16524/2022 & 1813/2023.
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 18 of 28
Mr Ghanshyam Mishra, CGSC for R-3 in W.P.(C) 16524/2022.
Mr Abhishek Maratha, Sr Standing Counsel with Mr Akshat Singh, Jr
Standing Counsel in W.P.(C)Nos.1566/2023, 720/2023, 1705/2023,
2812/2023, 3171/2023, 3546/2023, 3893/2023 & 3896/2023.
Mr Gaurav Gupta, Sr Standing Counsel with Mr Puneett Singhal and
Mr Shivendra Singh, Jr Standing Counsels in W.P.(C)Nos.2876/2023,
2898/2023, 3677/2023 & 3678/2023.
Mr Kunal Sharma, Sr Standing Counsel with Ms Zehra Khan, Jr
Standing Counsel along with Mr Shubhendu Bhattacharya, Adv. in
W.P.(C)Nos.2967/2023, 3009/2023 & 4001/2023
Mr Aseem Chawla, Sr Standing Counsel with Ms Anuja Pethia, Mr
Subhasish Kumar and Ms Pratishtha Chaudhary, Advs. in
W.P.(C)No.3001/2023 & 2449/2023.
Mr Shailendera Singh, Sr Standing Counsel with Ms Dacchita Shahi
and Mr Akash Saxena, Advs. in W.P.(C) 3414/2023.
Mr Sanjay Kumar, Sr Standing Counsel with Ms Easha, Adv. for
respondent in W.P.(C)No.3160/2023, 1006/2023, 119/2023 &
387/2023.
Mr Zoheb Hossain, Sr Standing Counsel with Mr Sanjeev Menon,
Standing Counsel for respondent in W.P.(C)No.1543/2023 &
992/2023.
Mr Vipul Agrawal, Sr Standing Counsel with Mr Gibran Naushad and
Ms Sakshi Shairwal, Advs. for W.P.(C) nos.992, 3997, 5973, 5990,
6256, 6967, 7169, 7443/2023.
Mr Ruchir Bhatia, Sr Standing Counsel with Ms Deeksha Gupta, Adv.
Mr Shlok Chandra, Sr Standing Counsel with Ms Priya Sarkar,
Standing Counsel.
Ms Dacchita Shahi, Standing Counsel for revenue in W.P.(C)
7529/2023.
Mr Puneet Rai, Sr Standing Counsel with Mr Ashvini Kumar and Mr
Rishabh Nangia, Standing Counsels in W.P.(C)Nos.2876/2023,
3335/2023, 3338/2023, 4377/2023, 4443/2023, 6440/2023,
6453/2023, 6532/2023, 6657/2023, 6660/2023, 6794/2023, 7146/2023
& 7497/2023.
Mr Akash Vajpai, Adv. for UOI in W.P.(C) 4487/2023.
Mr Santosh Kumar Pandey, Adv. for UOI in W.P.(C) 7529/2023.
Mr Siddharth Khatana, Adv. for UOI in W.P.(C) 7096.
Mr Rakesh Kumar Dudeja, Adv. for UOI in W.P.(C) 7529/2023.
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 19 of 28
CORAM:
HON'BLE MR JUSTICE RAJIV SHAKDHER
HON'BLE MS JUSTICE TARA VITASTA GANJU
[Physical Hearing/Hybrid Hearing (as per request)]
RAJIV SHAKDHER, J. (ORAL):
1. The above-captioned writ petitions concern Assessment Year (AY)
2016-17 and AY 2017-18.
2. The core issue involved in the writ petitions is whether the impugned
notices and orders are sustainable in law, having regard to the contention of
the petitioners that they are not backed by the approval of the specified
authority.
3. Since the issue is common to the above-captioned writ petitions, the
broad facts concerning one of the matters i.e., WP(C) 7289/2023, titled
Rajesh Gupta HUF v Assistant Commissioner of Income Tax and Ors. are
noted hereafter.
3.1. The petitioner/Hindu Undivided Family (HUF) filed its return of
income (ROI) qua AY 2017-18 on 09.06.2017 declaring an income of
Rs.66,88,500/-. The ROI was processed by the revenue and an intimation
was issued to the petitioner/HUF under Section 143(1) of the Act on
21.11.2017.
3.2. In the aftermath of the judgement in Union of India v Ashish
Agarwal (2023) 1 SCC 617, the revenue issued a notice dated 26.05.2022
under Section 148A(b) of the Act to the petitioner.
3.3. The petitioner filed a reply dated 14.06.2022 qua the said notice.
3.4. Thereafter, the revenue passed an order under Section 148A(d) of
the Act dated 29.07.2022 holding that income amounting to Rs.4,37,56,000/-
had escaped assessment. A consequential notice of even date i.e.,
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 20 of 28
29.07.2022 was also issued to the petitioner under Section 148 of the Act.
3.5. A perusal of the order under Section 148A(d) and the notice under
Section 148 would show that they have been passed/issued after obtaining
the prior approval of the Principal Commissioner of Income Tax-10, Delhi.
3.6. The petitioner approached the court via the aforementioned writ
petition on 18.05.2023, inter alia , raising the issue with regard the approval
of the specified authority being absent.
3.7. The petition came up for hearing before a coordinate bench [which
included one of us i.e., Rajiv Shakdher J.] on 25.05.2023 and it was directed
that there shall be a stay on the continuation of reassessment proceedings.
3.8. Thereafter, the petition was listed with the above-captioned batch of
petitions on several dates and arguments were heard on behalf of the
assessees and the revenue.
4. Counsel for the parties state that the reassessment proceedings were
triggered by an authority not specified, as per the provisions of Section
151(ii) of the Income Tax Act, 1961 [in short, “Act”].
4.1. In defence of the writ petitions, the revenue, inter alia , has relied
upon Taxation and Other Laws (Relaxation and Amendment of Certain
Provisions) Act, 2020 [in short, “TOLA”] and paragraphs 6.1 and 6.2(ii) of
the Instruction No.1 of 2022 dated 11.05.2022 issued by the Central Board
of Direct Taxes [in short, “CBDT”].
5. In Ganesh Dass Khanna v. Income Tax Officer & Anr . 2023: DHC:
8187-DB, we have ruled in favour of the assessees and against the revenue
insofar as the issue concerning limitation was concerned.
5.1 Insofar as the batch which was considered in the aforementioned
judgment, the alleged escaped income was less than Rs.50,00,000/-. As far
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 21 of 28
as the current batch of writ petitions is concerned, concededly, the escaped
income is more than Rs.50,00,000/-.
6. A faint argument is made on behalf of the revenue that the approval of
the specified authority is not mandatory, which, in our opinion, is in the
teeth of the provisions of the Act. In this behalf, the old Section 151 and the
amended version of the provision (after Finance Act 2021) are made
reference to.
6.1. For the sake of convenience, the provisions of Sections 148, 149 and
151, before and after amendment are extracted hereafter:
Prior to Finance Act 2021
“ 148 . (1) Before making the assessment, reassessment or recomputation
under section 147, the Assessing Officer shall serve on the assessee a notice
requiring him to furnish within such period, as may be specified in the notice,
a return of his income or the income of any other person in respect of which
he is assessable under this Act during the previous year corresponding to the
relevant assessment year, in the prescribed form and verified in the
prescribed manner and setting forth such other particulars as may be
prescribed; and the provisions of this Act shall, so far as may be, apply
accordingly as if such return were a return required to be furnished under
section 139 :
Provided that in a case—
(a) where a return has been furnished during the period commencing on the
1st day of October, 1991 and ending on the 30th day of September, 2005 in
response to a notice served under this section, and
(b) subsequently a notice has been served under sub-section (2) of section
143 after the expiry of twelve months specified in the proviso to sub-section
(2) of section 143, as it stood immediately before the amendment of said sub-
section by the Finance Act, 2002 (20 of 2002) but before the expiry of the
time limit for making the assessment, re-assessment or recomputation as
specified in sub-section (2) of section 153, every such notice referred to in
this clause shall be deemed to be a valid notice:
Provided further that in a case—
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 22 of 28
(a) where a return has been furnished during the period commencing on the
1st day of October, 1991 and ending on the 30th day of September, 2005, in
response to a notice served under this section, and
(b) subsequently a notice has been served under clause (ii) of sub-section (2)
of section 143 after the expiry of twelve months specified in the proviso to
clause (ii) of sub-section (2) of section 143, but before the expiry of the time
limit for making the assessment, reassessment or recomputation as specified
in sub-section (2) of section 153, every such notice referred to in this clause
shall be deemed to be a valid notice….
xxx xxx xxx
149. (1) No notice under section 148 shall be issued for the relevant
assessment year,—
(a) if four years have elapsed from the end of the relevant assessment year,
unless the case falls under clause (b) or clause (c);
(b) if four years, but not more than six years, have elapsed from the end of
the relevant assessment year unless the income chargeable to tax which has
escaped assessment amounts to or is likely to amount to one lakh rupees or
more for that year;
(c) if four years, but not more than sixteen years, have elapsed from the end
of the relevant assessment year unless the income in relation to any asset
(including financial interest in any entity) located outside India, chargeable
to tax, has escaped assessment….
xxx xxx xxx
151 . (1) No notice shall be issued under section 148 by an Assessing
Officer, after the expiry of a period of four years from the end of the
relevant assessment year, unless the Principal Chief Commissioner or
Chief Commissioner or Principal Commissioner or Commissioner is
satisfied, on the reasons recorded by the Assessing Officer, that it is a fit
case for the issue of such notice.
(2) In a case other than a case falling under sub-section (1), no notice shall
be issued under section 148 by an Assessing Officer, who is below the rank
of Joint Commissioner, unless the Joint Commissioner is satisfied, on the
reasons recorded by such Assessing Officer, that it is a fit case for the issue
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 23 of 28
of such notice.
(3) For the purposes of sub-section (1) and sub-section (2), the Principal
Chief Commissioner or the Chief Commissioner or the Principal
Commissioner or the Commissioner or the Joint Commissioner, as the case
may be, being satisfied on the reasons recorded by the Assessing Officer
about fitness of a case for the issue of notice under section 148, need not
issue such notice himself.”
Post Finance Act 2021
“ 148 . Before making the assessment, reassessment or recomputation under
section 147, and subject to the provisions of section 148A, the Assessing
Officer shall serve on the assessee a notice, along with a copy of the order
passed, if required, under clause (d) of section 148A, requiring him to furnish
within such period, as may be specified in such notice, a return of his income
or the income of any other person in respect of which he is assessable under
this Act during the previous year corresponding to the relevant assessment
year, in the prescribed form and verified in the prescribed manner and setting
forth such other particulars as may be prescribed; and the provisions of this
Act shall, so far as may be, apply accordingly as if such return were a return
required to be furnished under section 139:
Provided that no notice under this section shall be issued unless there is
information with the Assessing Officer which suggests that the income
chargeable to tax has escaped assessment in the case of the assessee for the
relevant assessment year and the Assessing Officer has obtained prior
approval of the specified authority to issue such notice…
xxx xxx xxx
149. (1) No notice under section 148 shall be issued for the relevant assessment
year—
(a) if three years have elapsed from the end of the relevant assessment year,
unless the case falls under clause (b);
(b) if three years, but not more than ten years , have elapsed from the end of the
relevant assessment year unless the Assessing Officer has in his possession
books of account or other documents or evidence which reveal that the income
chargeable to tax, represented in the form of asset, which has escaped
assessment amounts to or is likely to amount to fifty lakh rupees or more for
that year…
xxx xxx xxx
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 24 of 28
151. Specified authority for the purposes of section 148 and section 148A
shall be,—
(i) Principal Commissioner or Principal Director or Commissioner or
Director, if three years or less than three years have elapsed from the end of
the relevant assessment year;
(ii) Principal Chief Commissioner or Principal Director General or where
there is no Principal Chief Commissioner or Principal Director General,
Chief Commissioner or Director General, if more than three years have
elapsed from the end of the relevant assessment year...”
[Emphasis is ours]
7. A careful perusal of the above extract would show that after
amendment, Section 151 has been split and the part which enjoins that the
approval of the specified authority is mandatory stands embedded in the first
proviso to Section 148.
7.1. The concerned specified authorities, depending on the applicable
timeframe, are adverted to in Section 151 of the Act.
8. The first proviso to Section 148 and Section 151, when read conjointly,
demonstrate the untenability of the submission made on behalf of the
revenue.
9. We may also note that in Ganesh Dass Khanna , we were considering
the provision of Section 149 of the Act and have taken the view that since
the escaped income was less than Rs.50,00,000/-, the time limit as
prescribed in Section 149(1)(a) of the Act would apply.
10. As indicated above, the specified authority changes depending on the
time limit prescribed in Section 151 of the Act. It is on this account that
there is linkage between ruling rendered in Ganesh Dass Khanna and the
instant matters.
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 25 of 28
11. It may also be noted that in Ganesh Dass Khanna , we had recorded
the stand of the revenue that the issue concerning limitation and the
specified authority are “intertwined”. For convenience, the relevant part of
the judgement is extracted hereafter:
“24. On behalf of the revenue, the following broad submissions were
made:…
…(viii) Both under the unamended 1961 Act and amended 1961 Act , the
issue concerning limitation is inextricably intertwined with two
aspects :
(a) First , the rank of the authority granting approval/sanction for
triggering reassessment proceedings .
(b) Second, the quantum of income which has escaped assessment.”
[Emphasis is ours]
12. Clearly, the revenue advanced the argument of interlinkage between
limitation and the ascertainment of the specified authority due to the plain
language of the amended Section 151 of the Act. Section 151, when read
alongside the first proviso to Section 148, brings the aspect of inextricable
linkage to the fore.
12.1. Clauses (i) and (ii) of Section 151 of the amended Act (which has
been extracted hereinabove) clearly specify the authority whose approval
can trigger the reassessment proceedings. Thus, if three (3) years or less
have elapsed from the end of the relevant AY, the specified authority who
would grant approval for initiation of reassessment proceedings will be the
Principal Commissioner or Principal Director or Commissioner or Director.
However, if more than three (3) years from the end of the relevant AY have
elapsed, the specified authority for according approval for reassessment
shall be the Principal Chief Commissioner or Principal Director General or,
where there is no Principal Chief Commissioner or Principal Director
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 26 of 28
General, Chief Commissioner or Director General.
12.2. That the approval is mandatory is plainly evident on perusal of the
first proviso appended to Section 148 of the Act. the said proviso, at the risk
of repetition, reads as follows:
“…Provided that no notice under this section shall be issued unless there is
information with the Assessing Officer which suggests that the income
chargeable to tax has escaped assessment in the case of the assessee for the
relevant assessment year and the Assessing Officer has obtained prior
approval of the specified authority to issue such notice….”
12.3. In these cases, there is no dispute that although three (3) years had
elapsed from of the end of the relevant AY, the approval was sought from
authorities specified in clause (i), as against clause (ii) of Section 151.
12.4. Before us, the counsel for the revenue continue to hold this position.
The only liberty that they seek is that if, based on the judgement in Ganesh
Dass Khanna , the impugned orders and notices are set aside, liberty be
given to the revenue to commence reassessment proceedings afresh.
13. Therefore, having regard to the aforesaid, the impugned notices and
orders in each of the above-captioned writ petitions are quashed on the
ground that there is no approval of the specified authority, as indicated in
Section 151(ii) of the Act. The direction is issued with the caveat that the
revenue will have liberty to take steps, if deemed necessary, albeit as per
law.
14. Needless to add, the rights and contentions of both the sides will
remain open, in the event the revenue triggers reassessment proceedings.
15. The above-captioned writ petitions are disposed of, in the aforesaid
terms.
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 27 of 28
16. Consequently, the pending applications shall stand closed.
17. Parties will act based on the digitally signed copy of the order.
RAJIV SHAKDHER, J
TARA VITASTA GANJU, J
JANUARY 5, 2024 / aj
Signature Not Verified
Digitally Signed
By:ATUL JAIN
Signing Date:13.01.2024
11:39:13
W.P.(C)No.16524/2022 & connected matters Page 28 of 28