Pr. Commissioner Of Income Tax-7 v. Sumitomo Corporation India Pvt. Ltd
High Court
13 Jul 2023 In favour of: Unclear
Forum / Bench
High Court · dhcdb
Parties
Pr. Commissioner Of Income Tax-7 v. Sumitomo Corporation India Pvt. Ltd
Date of order
13 Jul 2023
Assessment year(s)
2015-16
Outcome
Other
Case summary
In Pr. Commissioner Of Income Tax-7 v. Sumitomo Corporation India Pvt. Ltd, the High Court (2023) decided the matter.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
The order — as passed by the High Court
Signature Not Verified
$~74 & 75
* IN THE HIGH COURT OF DELHI AT NEW DELHI % Date of decision:13.07.2023
+ ITA 119/2023 & CM APPL. 10173/2023
PR. COMMISSIONER OF INCOME TAX-7
..... Appellant
Through: Mr Zoheb Hossain, Sr. Standing Counsel with Mr Sanjeev Menon, Jr. Standing Counsel.
versus
SUMITOMO CORPORATION INDIA PVT. LTD. ..... Respondent
Through: Mr C.S. Aggarwal, Sr. Adv. with Mr Prakash Agarwal, Adv.
+ ITA 121/2023 & CM APPL. 10177/2023
PR. COMMISSIONER OF INCOME TAX-7
..... Appellant Through: Mr Zoheb Hossahin, Sr. Standing Counsel with Mr Sanjeev Menon, Jr. Standing Counsel.
versus
M/S SUMITOMO CORPORATION INDIA PVT. LTD.
..... Respondent
Through: Mr C.S. Aggarwal, Sr. Adv. with Mr Prakash Agarwal, Adv.
CORAM:HON'BLE MR. JUSTICE RAJIV SHAKDHERHON'BLE MR. JUSTICE GIRISH KATHPALIA [Physical Hearing/Hybrid Hearing (as per request)]
ITA 119/2023 & ITA 121/2023
Signature Not Verified
RAJIV SHAKDHER, J.: (ORAL)
CM APPL. 10173/2023 in ITA 119/2023
CM APPL. 10177/2023 in ITA 121/2023 [Applications filed on behalf of
the appellant/revenue seeking condonation of delay of 214 days in filing the appeals]
1. These are the applications moved on behalf of the appellant/revenue seeking condonation of delay in filing the appeals.
1.1 According to the appellant/revenue, there is a delay of 214 days in filing the appeals.
2. Mr C.S. Aggarwal, learned senior standing counsel, who appears on behalf of the respondent/assessee, says that he does not oppose the prayer made in the applications.
3. Accordingly, the prayers made therein are allowed.
4. The applications are disposed of, in the aforesaid terms.
ITA 119/2023 & ITA 121/2023
5. These appeals concern Assessment Year (AY) 2016-17 (ITA No. 119/2023) and AY 2015-16 (ITA No. 121/2023).
6. The appellant/revenue has laid challenge to a common order of the Income Tax Appellate Tribunal [in short, ‘Tribunal’] dated 24.11.2021.
7. In the connected appeals which were listed on our board today i.e. ITA 22/2023, ITA 23/2023 and ITA 122/2023, we have noticed that in the earlier AYs i.e. 2007-08 to 2010-11, this court had passed a remand-order dated 22.07.2016.
8. Upon the High Court passing the order of remand, the Tribunal rendered a decision on 22.10.2018.
9. The appellant/revenue, for whatever reason, chose not to file an
Signature Not Verified
appeal against the said order.
10. Since the issues which arise for consideration in the instant appeals are in our view, pari materia, no substantial question of law arises.
11. The above-captioned appeals are, accordingly, closed.
RAJIV SHAKDHER, J
GIRISH KATHPALIA, J
JULY 13, 2023/RY
Click here to check corrigendum, if any
This page reproduces a public-domain court order (Section 52(1)(q)(iv), Copyright Act 1957). Explanations are EaseValue's original analysis. Always read the original order.
Disclaimer: General information only — not legal, tax or professional advice, and no advocate/CA–client relationship is created. AI-generated summaries may contain errors and must be verified against the original court order. EaseValue accepts no liability for reliance on this content. Not a solicitation.
Full disclaimer & Terms.