JUDGEMENT
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(1.) This appeal under Section 260A of the Income Tax Act,
1961 ('the Act') has been filed by the Department aggrieved
against the order dated 10.05.2004 passed by the Income Tax
Appellate Tribunal, Jodhpur Bench, Jodhpur ('the Tribunal'),
whereby, the appeal filed by the assessee was allowed and it
was held that the assessment framed by the Assessing Officer
('AO') on 31.03.1989 was barred by limitation.
(2.) This Court while admitting the appeal on 24.05.2005
framed the following substantial question of law:-
"(i) Whether in the facts and circumstances,
the Tribunal was justified in holding the
assessment framed on 31
st March, 1989 for
the assessment year 1985-86 was barred by
Limitation under Section 153(1)(a) and it was
not a case governed by Section 153(1)(b) -
(3.) The facts in brief may be noticed that a search was
conducted under Section 132 of the Act on 24.08.1984; the
accounting year of the assessee closed on 31.10.1984 and the
due date for filing return was 30.06.1985; the assessee sought
extension of time for filing the return vide application dated
24.06.1985, which was granted till 30.09.1985; the assessee
filed its return of income declaring loss of Rs.6,28,696/- on
31.10.1985; the first assessment was framed on 31.03.1989 on
an income of Rs.5,50,82,560/-; the assessee challenged the
validity of the assessment before the Commissioner of Income
Tax (Appeals), Udaipur ['CIT(A)'], which was decided vide order
dated 09.01.1990, though and the ground for challenging the
validity was rejected, however, the assessment was set aside;
the AO framed second assessment vide order dated 10.03.1992
on an income of Rs.5,38,14,438/-, which was again set aside by
the CIT(A) vide order dated 28.10.1992; consequently, third
assessment was framed by AO on 27.03.1995 at an income of
Rs.20,62,263/-, which was again challenged by the assessee
before the CIT(A), who decided the same vide order dated
21.08.1995. The assessee approached the Tribunal against the
orders of the CIT(A) i.e. 09.01.1990 and 21.08.1995.;
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