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B.S. Bajaj and Sons Vs. Commissioner of Income-tax - Court Judgment

SooperKanoon Citation

Subject

Direct Taxation

Court

Punjab and Haryana High Court

Decided On

Case Number

Income-tax Reference No. 104 of 1982

Judge

Reported in

(1996)135CTR(P& H)491; [1996]222ITR418(P& H)

Acts

Income Tax Act, 1961 - Sections 80J, 80HH and 263; Wealth Tax Act, 1957 - Sections 5(1)

Appellant

B.S. Bajaj and Sons

Respondent

Commissioner of Income-tax

Appellant Advocate

Ajay Kumar Mittal, Adv.

Respondent Advocate

R.P. Sawhney, Senior Adv. and; Sanjay Goyal, Adv.

Excerpt:


.....appeal shall lie. even otherwise, the word judgment as defined under section 2(9) means a statement given by a judge on the grounds of a decree or order. thus the contention that against an order passed by a single judge in an appeal filed under section 104 c.p.c., a further appeal lies to a division bench cannot be accepted. the newly incorporated section 100a in clear and specific terms prohibits further appeal against the decree and judgment or order of a single judge to a division bench notwithstanding anything contained in the letters patent. the letters patent which provides for further appeal to a division bench remains intact, but the right to prefer a further appeal is taken away even in respect of the matters arising under the special enactments or other instruments having the force of law be it against original/appellate decree or order heard and decided by a single judge. it has to be kept in mind that the special statute only provide for an appeal to the high court. it has not made any provision for filing appeal to a division bench against the judgment or decree or order of a single judge. no letters patent appeal shall lie against a judgment/order passed by a..........the commissioner of income tax had the jurisdiction to interfere with the order of the assessing officer under section 263.held :commissioner of income tax's jurisdiction is restricted only to that part of the order of assessment which is not dealt with in appeal. what merges with the appellate order is only that part of the order of the income tax officer under section 143 of the act as was the subject-matter of the appeal and no more. immunity from proceedings under section 263 of the act is restricted to this extent, therefore, in the circumstances of the case the order of the assessing officer did not merge with the order of the appellate assistat commissioner and the commissioner of income tax had the jurisdiction to interfere with the order of the assessing officer under section 263.case law analysis :punjab state civil supplies corpn. ltd. v. cit (1993) 200 itr 536 (p&h;)(fb) followed.application :also to current assessment years.income tax act 1961 s.263

Judgment:


ORDER

--Issue not carried in appeal.

Ratio :

As the issue was not carried in appeal the same does not merge with appellate order, therefore, the order of the assessing officer did not merge with the order of the Appellate Assistant Commissioner and the Commissioner of Income Tax had the jurisdiction to interfere with the order of the assessing officer under section 263.

Held :

Commissioner of Income Tax's jurisdiction is restricted only to that part of the order of assessment which is not dealt with in appeal. What merges with the appellate order is only that part of the order of the Income Tax Officer under section 143 of the Act as was the subject-matter of the appeal and no more. Immunity from proceedings under section 263 of the Act is restricted to this extent, therefore, in the circumstances of the case the order of the assessing officer did not merge with the order of the Appellate Assistat Commissioner and the Commissioner of Income Tax had the jurisdiction to interfere with the order of the assessing officer under section 263.

Case Law Analysis :

Punjab State Civil Supplies Corpn. Ltd. v. CIT (1993) 200 ITR 536 (P&H;)(FB) followed.

Application :

Also to current assessment years.

Income Tax Act 1961 s.263


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