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Wp/92/2016 Of Samira Rasidences Pvt. Ltd v. Income Tax Settlement Commissioner Additional Bench-Ii And 3 Ors

High Court 20 Apr 2016 In favour of: Revenue
Forum / Bench
High Court · newos
Parties
Wp/92/2016 Of Samira Rasidences Pvt. Ltd v. Income Tax Settlement Commissioner Additional Bench-Ii And 3 Ors
Date of order
20 Apr 2016
Assessment year(s)
Outcome
Dismissed

The order — as passed by the High Court

Case summary

In Wp/92/2016 Of Samira Rasidences Pvt. Ltd v. Income Tax Settlement Commissioner Additional Bench-Ii And 3 Ors, the High Court (2016) dismissed the appeal. The decision went in favour of the Revenue.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.
IN THE HIGH COURT OF JUDICATURE AT BOMBAYORDINARY ORIGINAL CIVIL JURISDICTION WRIT PETITION NO. 92 OF 2016 M/s. Samira Residences Pvt. Ltd. v/s. Income Tax Settlement Commission Mumbai .. Petitioner .. Respondent WITHWRIT PETITION NO. 206 OF 2016WITHWRIT PETITION NO. 241 OF 2016 Mihir Anil Nerurkar .. Petitioner v/s. Income Tax Settlement Commission Mumbai .. Respondent WITHWRIT PETITION NO. 211 OF 2016 M/s. Samira Habitats (India) Ltd. .. Petitioner v/s. Income Tax Settlement Commission Mumbai .. Respondent WITH WRIT PETITION NO. 93 OF 2016 M/s. Samira Realty Projects Pvt. Ltd. v/s. Income Tax Settlement Commission Mumbai .. Petitioner .. Respondent Mr. Deepak Tralshawalla a/w V.S. Hadade for the petitioner Mr. Suresh Kumar for the respondent CORAM : M.S. SANKLECHA & A.K. MENON, J.J. DATED : 20[th] APRIL, 2016. 1.All these five petitions under Article 226 of the Constitution of Inida challenge the order dated 4[th] March, 2015 passed by the Income Tax Settlement Commission (the Commission). By the common impugned order dated 4[th] March, 2015, the petitioner's application for settlement was dismissed under Section 245D(1) of the Income Tax Act, 1961 (the Act). As the petitioners are part of a group in the form of three limited companies and two individual applicants, who are the Directors in the some of the group companies. 2.We find that the impugned order was passed on 4[th] March, 2015 and the present petitions were filed as on 8[th] December, 2015 and moved before the Court today. Thus, there is a gross delay on the part of the petitioners in moving this Court. However, no explanation is being offered for the delay. This unexplained delay amounts to acceptance of the impugned order. This unexplained delay itself would result in the Court not exercising its extra-ordinary writ jurisdiction. 3.Moreover, we find that on the impugned order being passed on 4[th] March, 2015, the proceedings before the Assessing Officer revived under Section 245H of the Act. Consequent thereto, in two of the 92-16-wp=.doc petitions assessment order was passed on 26[th] March, 2015 and in three of the petitions assessment order is passed on 27[th] March, 2015. We are informed that the petitioners have also filed appeals against those orders before the Commissioner of Income Tax (Appeals). These appeals we are told are kept in abeyance because of these petitions. It is pertinent to note that the petitions are silent about the aforesaid facts. Thus, there is suppression of material facts on the part of the petitioners which by itself dis-entitles the petitioner to be heard on merits. 4.In the above view, not only on the ground of gross delay but also on account of the conduct of the petitioners in not having disclosed all material facts in the petitions filed before us, we see no reason to entertain the present petitions. 5.Therefore, all the petitions are dismissed. No order as to costs. (A.K. MENON, J.) (M.S. SANKLECHA, J.)
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