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•Pr. Commissioner Of Income Tax - 1 Central Revenuebuilding, Civil Lines, Raipur, District : Raipur,Chhattisgarh v. M/S Prachi Agriculture And Properties Private Limited 18

High Court 26 Mar 2025 In favour of: Unclear
Forum / Bench
High Court · cghccisdb
Parties
•Pr. Commissioner Of Income Tax - 1 Central Revenuebuilding, Civil Lines, Raipur, District : Raipur,Chhattisgarh v. M/S Prachi Agriculture And Properties Private Limited 18
Date of order
26 Mar 2025
Assessment year(s)
Outcome
Other

Case summary

In •Pr. Commissioner Of Income Tax - 1 Central Revenuebuilding, Civil Lines, Raipur, District : Raipur,Chhattisgarh v. M/S Prachi Agriculture And Properties Private Limited 18, the High Court (2025) decided the matter under Section 268A of the Income-tax Act.

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

Digitally signedby SOURABHSOURABHPATELPATELDate:2025.03.2717:18:21+0530 2025:CGHC:14566-DB NAFR HIGH COURT OF CHHATTISGARH AT BILASPURTAXC No. 79 of 2022 •Pr. Commissioner Of Income Tax - 1 Central RevenueBuilding, Civil Lines, Raipur, District : Raipur,Chhattisgarh. ... Appellant versus M/s Prachi Agriculture And Properties Private Limited 18-19, Anupam Nagar, Raipur (C.G.).M/s Prachi Agriculture And Properties Private Limited 18-19, Anupam Nagar, Raipur (C.G.). ... Respondent For Appellant : Mr. Vijay Chawla, Advocate on behalf of Mr. Amit Chaudhari, Advocate.Mr. Apurv Goyal, Advocate.Mr. Amit Chaudhari, Advocate.Mr. Apurv Goyal, Advocate. For Respondent : DB: Hon'ble Shri Justice Sanjay K. Agrawal Hon'ble Shri Justice Sanjay Order on Board(26.03.2025) Kumar Jaiswal Sanjay K. Agrawal, J 1. When case is taken for hearing and learned counsel for theappellant would submit that the Government of India,Ministry of Finance has issued a new circular dated17.09.2024, in which monetary limits for filing Income TaxAppeals by the department before the High Court has beenappellant would submit that the Government of India,Ministry of Finance has issued a new circular dated17.09.2024, in which monetary limits for filing Income TaxAppeals by the department before the High Court has been enhanced to Rs.2 Crores, whereas in the present case thetax liability of assess is less than Rs.2 Crore. Therefore, inlight of aforesaid circular dated 17/09/2024, the presentappeal may be disposed of finally. 2.The said prayer appears to be fair and reasonable. 3.For ready reference, relevant paragraphs of said circulardated 17/09/2024 is quoted hereinbelow: “1.Reference is invited to Circular No 5/2024(F.No.279/Misc.142/2007-ITJ(Pt) dated15.03.2024of Central Board of Direct Taxes (the 'Board') videwhich monetary limits for filing of income taxappeals by the Department before Income TaxAppellate Tribunal, High Courts and SLP/appealsbefore Supreme Court have been specified.Further, exceptions to the monetary limits werealso specified vide paras 3.1 and 3.2 of the saidCircular. 2. As a step towards management of litigation, ithas been decided by the Board to revise themonetary limits for filing of appeals in Income-taxcases as stated in Para 4.1 of the aforementionedCircular as follows:- 3. Monetary limits given in paragraph 2 above withregard to filing appeal/SLP shall be applicable toall cases including those relating to TDS/TCSunder the Income-tax Act, 1961 with exceptions asper paras 3.1 and 3.2 of Circular No 5/2024 dated15.03.2024, where the decision to appeal/file SLPshall be taken on merits, without regard to the taxeffect and the monetary limits. 4. It is clarified that an appeal should not be filedmerely because the tax effect in a case exceeds themonetary limits prescribed above. Filing of appealin such cases is to be decided on merits of thecase. The officers concerned shall keep in mind theoverall objective of reducing unnecessary litigationand providing certainty to taxpayers on theirIncome-tax assessments while taking a decisionregarding filing an appeal. 5. The modifications shall come into effect from thedate of issue of this Circular. This Circular willapply to SLPs/appeals to be filed henceforth inSC/HCs/Tribunal. It shall also apply to the SLPs/appeals pending before Supreme Court/HighCourts/Tribunal, which may accordingly bewithdrawn. 6. The above may be brought to the notice of allconcerned. 2024:CGHC:36953-DB 4 / 4 7. This issues under section 268A of the IncometaxAct, 1961. 8. Hindi version will follow.” Sourabh P. 4. In view aforesaid submission of learned counsel for theappellant where monetary limit (tax liability) in the presentcase is less than Rs.2 Crores therefore, in light of aforesaidcircular (Para-5) dated 17/09/2024, the instant Tax Casestands disposed of. Sd/- Sd/- (Sanjay K. Agrawal) 5. The modifications shall come into effect from thedate of issue of this Circular. This Circular willapply to SLPs/appeals to be filed henceforth inSC/HCs/Tribunal. It shall also apply to the SLPs/appeals pending before Supreme Court/HighCourts/Tribunal, which may accordingly bewithdrawn. 6. The above may be brought to the notice of allconcerned. 2024:CGHC:36953-DB 4 / 4 7. This issues under section 268A of the IncometaxAct, 1961. 8. Hindi version will follow.” Sourabh P. 4. In view aforesaid submission of learned counsel for theappellant where monetary limit (tax liability) in the presentcase is less than Rs.2 Crores therefore, in light of aforesaidcircular (Para-5) dated 17/09/2024, the instant Tax Casestands disposed of. Sd/- Sd/- (Sanjay K. Agrawal) (Sanjay Kumar Jaiswal) Judge Judge
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