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Pr. Commissioner Of Income Tax, Shimla v. M/S H.p. State Civil Supplies Corporation Ltd

High Court 17 May 2016 In favour of: Revenue
Forum / Bench
High Court · cmis
Parties
Pr. Commissioner Of Income Tax, Shimla v. M/S H.p. State Civil Supplies Corporation Ltd
Date of order
17 May 2016
Assessment year(s)
Outcome
Allowed

Case summary

In Pr. Commissioner Of Income Tax, Shimla v. M/S H.p. State Civil Supplies Corporation Ltd, the High Court (2016) allowed the appeal. The decision went in favour of the Revenue.

Issue: Whether approved for reporting?[1] For the Appellant : For the Appellant : Mr.Vinay Kuthiala, Senior Advocate, with Mr.

Decision: As such, present appeal stands disposed of.

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

The order — as passed by the High Court

IN THE HIGH COURT OF HIMACHAL PRADESH, SHIMLA ITA No. 29 of 2016Date of decision: 17.5.2016 Pr. Commissioner of Income Tax, Shimla …Appellant Versus M/s H.P. State Civil Supplies Corporation Ltd. …Respondent Coram The Hon’ble Mr. Justice Mansoor Ahmad Mir, Chief Justice. The Hon’ble Mr. Justice Tarlok Singh Chauhan, Judge. Whether approved for reporting?[1] For the Appellant : For the Appellant : Mr.Vinay Kuthiala, Senior Advocate, with Mr. Diwan Singh Negi, Advocate.For the Respondent : Nemo. Mansoor Ahmad Mir, Chief Justice (Oral) Pursuant to circular No. 21/2015 issued vide F.No. 279/Misc.142/2007-ITJ(Pt) by Government of India, Ministry of Finance, Department of Revenue, Central Board Direct Taxes dated 10.12.2015, an office order dated 4[th]January, 2016 stands issued by the Registrar (Judicial & JB) of this Court to the following effect: “Hon’ble the Chief Justice has been pleased to order in pursuance of circular No. 21/2015 issued vide F.No. Whether the reporters of the local papers may be allowed to see the Judgment? 279/Misc.142/2007-ITJ(Pt) by Government of India, Ministry of Finance, Department of Revenue, Central Board Direct Taxes dated 10.12.2015 as under: “(1) It is to be specifically mentioned by the Income Tax Department while filing the appeal in the High Court that the tax effect exceeds `20,00,000/- except in the following matters: Department while filing the appeal in the High Court that the tax effect exceeds `20,00,000/- except in the following matters: (a) Where the Constitutional validity of the provisions of an Act or Rule are under challenge, or Act or Rule are under challenge, or (b) Where Board’s order, Notification, Instruction or Circular has been held to be illegal or ultra vires, or (c) Where Revenue Audit objection in the case has been accepted by the Department, or Circular has been held to be illegal or ultra vires, or (c) Where Revenue Audit objection in the case has been accepted by the Department, or (d) Where the additional relates to undisclosed foreign assets/bank accounts. assets/bank accounts. 2. The pending appeals where the tax effect does not exceed `20,00,000/- are directed to be withdrawn/not pressed.” `20,00,000/- are directed to be withdrawn/not pressed.” 2. It is not in dispute that the total tax factor is less than`20,00,000/- in this appeal and the same does not fall within anyone of the exceptions. As such, present appeal stands disposed of. Pending application, if any, also stands disposed of. (Mansoor Ahmad Mir) Chief Justice (Tarlok Singh Chauhan) Judge
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