Case LawHigh Court › In Both T.c.as v. M/S. Sharadha Terry Pr...

In Both T.c.as v. M/S. Sharadha Terry Products Ltd

High Court 15 Oct 2024 In favour of: Unclear
Forum / Bench
High Court · hc_cis_mas
Parties
In Both T.c.as v. M/S. Sharadha Terry Products Ltd
Date of order
15 Oct 2024
Assessment year(s)
Outcome
Dismissed

The order — as passed by the High Court

Case summary

In In Both T.c.as v. M/S. Sharadha Terry Products Ltd, the High Court (2024) dismissed the appeal.

Issue: Whether on the facts and circumstances of the case and in law, the ITAT is justified in confirming the order of CIT(Appeals), when the assessee failed to reduce the miscellaneous receipts for the purpose of computation of deduction u/s 10B of the IT Act?" 2.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.

Sections referenced in this judgment

T.C.A.Nos.174 & 175 of 2021 IN THE HIGH COURT OF JUDICATURE AT MADRAS DATED: 15.10.2024 CORAM : THE HONOURABLE MR.JUSTICE R. SURESH KUMARANDTHE HONOURABLE MR.JUSTICE C. SARAVANAN T.C.A.Nos.174 & 175 of 2021 Principal Commissioner of Income Tax 1No.63, Race Course RoadCoimbatore... Appellant in both T.C.As Vs. M/s. Sharadha Terry Products Ltd.No.8, Badrakaliamman Koil RoadNellithurai P.O., MettupalayamCoimbatore – 641 305PAN: AAD CS 0657 H Respondent..in both T.C.As Prayer in T.C.A.No.174 of 2021: Appeal filed under Section 260-A of the Income Tax Act, 1961, against the order of Income Tax Appellate Tribunal Madras “D” Bench dated 05.02.2020 passed in I.T.A.No.592/CHNY/2018; and Prayer in T.C.A.No.175 of 2021: Appeal filed under Section 260-A of the Income Tax Act, 1961, against the order of Income Tax Appellate Tribunal Madras “D” Bench dated 05.02.2020 passed in I.T.A.No.1906/CHNY/2018. For the Appellant:Mr.Karthik Ranganathanin both T.C.AsSenior Standing Counsel For the Respondentin both T.C.As: Mr.A.S.Sriraman https://www.mhc.tn.gov.in/judis COMMON JUDGMENT (Order of the Court was made by R.SURESH KUMAR, J.)The present tax case appeals were admitted on 15.03.2021 by this Court on the following substantial questions of law:- "1. Whether on the facts and circumstances of the case, the Appellate Tribunal is justified in treating the reopening of assessment is bad in law, when Section 147 of the Income Tax Act clearly provides that if the Assessing Officer has reason to believe that any income chargeable to tax has escaped assessment, the Assessing Officer can assess or re-assess the escaped income? 2. Whether on the facts and circumstances of the case and in law, the ITAT is justified in confirming the order of CIT(Appeals), when the assessee failed to reduce the miscellaneous receipts for the purpose of computation of deduction u/s 10B of the IT Act?" 2. It is submitted by the learned Senior Standing Counsel appearing for the appellant Revenue that these matters are covered under the Low Tax Effect as per the recent Circular dated 17.09.2024, in Circular No.9/2024. https://www.mhc.tn.gov.in/judis T.C.A.Nos.174 & 175 of 2021 3. Hence, these appeals stand dismissed, as covered under the low tax effect and the substantial questions of law arising in these appeals are kept open to be decided at the later point of time. There shall be no order as to costs. (R.S.K., J.) (C.S.N, J) 15.10.2024 Neutral Citation:Yes/No drm https://www.mhc.tn.gov.in/judis T.C.A.Nos.174 & 175 of 2021 R. SURESH KUMAR, J.ANDC. SARAVANAN, J. (drm) T.C.A.Nos.174 & 175 of 2021 15.10.2024
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