ACIT, CIRCLE- 4(2), New Delhi v. Bharti Telemedia Ltd.,, New Delhi

ITA 6050/DEL/2017 | 2011-2012
Pronouncement Date: 10-03-2021 | Result: Dismissed

Appeal Details

RSA Number 605020114 RSA 2017
Assessee PAN AADCB0147R
Bench Delhi
Appeal Number ITA 6050/DEL/2017
Duration Of Justice 3 year(s) 5 month(s) 13 day(s)
Appellant ACIT, CIRCLE- 4(2), New Delhi
Respondent Bharti Telemedia Ltd.,, New Delhi
Appeal Type Income Tax Appeal
Pronouncement Date 10-03-2021
Appeal Filed By Department
Order Result Dismissed
Bench Allotted A
Tribunal Order Date 10-03-2021
Assessment Year 2011-2012
Appeal Filed On 26-09-2017
Judgment Text
IN TH E INCOME TAX APPELLATE TRIBUNAL DELHI BENCH : A : NEW DELHI BEFORE SHRI R. K. PANDA ACCOUNTANT MEMBER AND MS SUCHITRA KAMBLE JUDICIAL MEMBER ITA NO. 6050 / DEL /201 7 ASSESSMENT YEAR : 20 1 1 - 12 ACIT CIRCLE - 4(2) NEW DELHI VS BHARTI TELEMEDIA LTD. BHA RTI CRESCENT 1 NELSON MANDELA ROAD VASANT KUNJ PHASE II NEW DELHI. PAN: AADCB0147R (APP ELL A NT ) (RESPONDENT) A SSESSEE BY : MS PRACHI RASTOGI CA RE VENUE BY : SHRI SATPAL GULATI CIT - DR DATE OF HEARING : 10 . 0 3 . 20 2 1 DATE OF PRONOUNCEMENT : 10 . 0 3 . 20 2 1 ORDER PER R. K. PANDA AM : THIS APPEAL FILED BY THE REVENUE IS DIRECTED AGAINST THE ORDER DATED 31 ST MAY 201 7 OF THE CIT(A) - 2 NEW DELHI RELATING TO THE ASSESSMENT YEAR 201 1 - 12 . 2. THE LD. COUNSEL FO R THE ASSESSEE FILED AN APPLICATION SEEKING A DIRECTION BY THE TRIBUNAL TO THE DEPARTMENT TO WITHDRAW THE APPEAL ON THE GROUND THAT THE ASSESSEE HAS OPTED TO SETTLE THE DISPUTE RELATING TO THE TAX ARREARS FOR THE ASSESSMENT YEAR UNDER CONSIDERATION UNDER T HE VIVAD SE VISHWAS SCHEME 2020 AND HAS ITA NO. 6050 / DEL /201 7 2 OBTAINED FORM NO.3 FROM THE PCIT - 2 DELHI THE DESIGNATED AUTHORITY UNDER THE VIVAD SE VISHWAS SCHEME 2020 VIDE ACKNOWLEDGEMENT NO.219464890190121 DATED 19 TH JANUARY 2021. IN VIEW OF THE ABOVE AND IN ABSENCE OF A NY OBJECTION FROM THE SIDE OF THE LD. DR THE APPEAL FILED BY THE REVENUE IS DISMISSED AS WITHDRAWN. 3 . HOWEVER THE AFORESAID IS SUBJECT TO A CAVEAT THAT IN CASE THE DISPUTE RELATING TO TAX ARREARS FOR THE CAPTIONED ASSESSMENT YEAR IS NOT ULTIMATELY RESO LVED IN TERMS OF THE AFORESAID SCHEME THE REVENUE SHALL BE AT LIBERTY TO APPROACH THE TRIBUNAL FOR REINSTITUTION OF THE APPEAL AND THE TRIBUNAL SHALL CONSIDER SUCH APPLICATION APPROPRIATELY AS PER LAW. THE ASSESSEE HAS NO OBJECTION WITH REGARD TO THE AFO RESAID CAVEAT. 4 . IN VIEW OF THE AFORESAID THE APPEAL IS CONSIGNED TO RECORD AND FOR STATISTICAL PURPOSES IS TREATED AS DISMISSED. THE ORDER W AS PRO NOUNCED IN THE OPEN COURT ON CONCLUSION OF THE HEARING ITSELF I.E. ON 10 TH MARCH 2021. SD/ - SD/ - (SUCHITRA KAMBLE) ( R. K. PANDA ) JUDICIAL MEMBER ACCOUNTANT MEMBER DATED: 10 TH MARCH 2021. DK ITA NO. 6050 / DEL /201 7 3 COPY FORWARDED TO : 1. APPELLANT 2. RESPONDENT 3. CIT 4. CIT(A) 5. DR ASSTT . REGISTRAR ITAT NEW DELHI