Case LawHigh Court › Ita/18/2013 Of The Commisisoner Of Incom...

Ita/18/2013 Of The Commisisoner Of Income Tax v. M/S. Mahaveer Tuscan

High Court 02 Sep 2020 In favour of: Assessee
Forum / Bench
High Court · karnataka_bng_old
Parties
Ita/18/2013 Of The Commisisoner Of Income Tax v. M/S. Mahaveer Tuscan
Date of order
02 Sep 2020
Assessment year(s)
2008-09
Outcome
Dismissed

Case summary

In Ita/18/2013 Of The Commisisoner Of Income Tax v. M/S. Mahaveer Tuscan, the High Court (2020) dismissed the appeal. The decision went in favour of the assessee.

Decision: In the result, the appeal fails and Is hereby|dismissed.

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

Sections referenced in this judgment

The order — as passed by the High Court

IN THE HIGH COURT OF KARNATAKA AT BENGALURUDATED THIS THE 2 DAY OF SEPTEMBER 2020 PRESENT THE HON’BLE MR. JUSTICE ALOK ARADHE AND| THE HON’BLE MR. JUSTICE H.T.NARENDRA PRASAD ILT.A. NO.18 OF 2013 BE!TVW E 1.|THE COMMISSIONER OF INCOME-TAXC.R. BUILDING, QUEENS ROADBANGALORE.C.R. BUILDING, QUEENS ROADBANGALORE. 2 |THE INCOME-TAX OFFICER,WARD-4(3), C.R. BUILDINGQUEENS ROAD, BANGALORE.WARD-4(3), C.R. BUILDINGQUEENS ROAD, BANGALORE. ... APPELLANTS (BY SRI.K.V.ARAVIND, ADV.,) AND: M/S. MAHAVEER TUSCANNO.1, 24TH MAINMAHAVEER TOWERSJ P NAGAR, 6TH PHASEBANGALORE-5600 7/8 .. RESPONDENT (BY SRI.A.SHANKAR, SR. ADV. A/WSRI.M.LAVA, ADV.) THIS ITA IS FILED UNDER SECTION 260-A OF I.T. ACT,1961 ARISING OUT OF ORDER DATED 31.08.2017 PASSED IN [TA| NO.996/BANG/2011 FOR THE ASSESSMENT YEARS 2008-09,|PRAYING THAT THIS HON'BLE COURT MAY BE PLEASED TO:(1) FORMULATE THE SUBSTANTIAL QUESTIONS OF LAW.STATED THEREIN.» (1) ALLOW THE APPEAL AND SET ASIDE THE ORDER DATED31.08.2017.PASSEDBY|THE|ITAT,BANGALOREIN|ITANO.996/BANG/2011 CONFIRMING THE ORDER OF THE APPELLATE|COMMISSIONER AND CONFIRM THE ORDER PASSED BY THE!INCOME TAX OFFICER, WARD-4(3), BANGALORE. THIS ITA COMING ON FOR FINAL HEARING, THIS DAY,ALOK ARADHE J.,DELIVERED THE FOLLOWING JUDGMENT This appeal under Section 260A of the Income Tax)Act, 1961 (hereinafter referred to as the Act for short)has been preferred by the revenue. The subject matterof the appeal pertains to the Assessment year 2008-09.The appeal was admitted by a bench of this Court videorder dated 23.09.2013 on the following substantialquestions of law:| (I)Whether the appellate authorities were|correct in holding that the assessee firmis eligible for deduction under Section|SOIB(10) of the Income-Tax Act despitethe fact that there was large scale|violationsand|deviations|to.thesanctioned plan of the local authority by|the assessee firm in carrying out the|“Housing Project” without appreciating| the fundamental! nature of the legis/aturefor providing such relief? (iI)Whether the appellate authorities were|correct in construing that deviations andviolations committed by the assessee.while undertaking tne housing project.and yet to be paid compounding fee for|regularizing the default is fairly enough|to claim the deduction under Section|SOIB(10)withoutappreciatingtheintended structure of the _ legislativprovisions of Section 80IB?_correct in construing that deviations andviolations committed by the assessee.while undertaking tne housing project.and yet to be paid compounding fee for|regularizing the default is fairly enough|to claim the deduction under Section|SOIB(10)withoutappreciatingtheintended structure of the _ legislativprovisions of Section 80IB?_ 2 |For the reasons assigned by us in the orderpassed today in ITA No.13/2013, the substantialquestions of law are answered against the revenue andin favour of the assessee. In the result, the appeal fails and Is hereby|dismissed. Sd/-JUDGE. Sd/-JUDGE. SS|
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