Wtax/980/2021 Of Alm Industries Limited v. Deputy Commissioner Of Income Tax And 2 Others
High Court
06 Dec 2021 In favour of: Unclear
Forum / Bench
High Court · cisdb_16012018
Parties
Wtax/980/2021 Of Alm Industries Limited v. Deputy Commissioner Of Income Tax And 2 Others
Date of order
06 Dec 2021
Assessment year(s)
2017-18
Outcome
Other
The order — as passed by the High Court
Case summary
In Wtax/980/2021 Of Alm Industries Limited v. Deputy Commissioner Of Income Tax And 2 Others, the High Court (2021) decided the matter.
Decision: For reasons given therein, the presentwrit petition is also disposed of with the following directions: (i) the order dated 10.09.2021 insofar as it seeks to reject the petitioner'sobjection on assumption of jurisdiction to reassess the petitioner for A.Y.2017-18, is set aside; (ii) the petitioner sh...
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
Sections referenced in this judgment
Court No. - 21Case :- WRIT TAX No. - 980 of 2021Petitioner :- Alm Industries LimitedRespondent :- Deputy Commissioner Of Income Tax And 2 OthersCounsel for Petitioner :- Suyash AgarwalCounsel for Respondent :- A.S.G.I.,Gaurav Mahajan,Krishna AgarawalHon'ble Naheed Ara Moonis,J.Hon'ble Saumitra Dayal Singh,J.
1. Heard Sri Suyash Agarwal, learned counsel for the petitioner and SriKrishna Agarwal, learned counsel for the revenue.
2. Challenge has been raised to the re-assessment proceeding initiatedagainst the petitioner for the A.Y. 2017-18 vide reassessment noticeissued under Section 148 of the Income Tax Act, 1961 (hereinafterreferred to as the 'Act') dated 30.03.2021 by the Deputy CommissionerIncome Tax Circle-3(1)(1), Muzaffarnagar.
3. By a detailed order passed today in WRIT TAX No. - 979 of 2021, wehave disposed of the writ petition. For reasons given therein, the presentwrit petition is also disposed of with the following directions:
(i) the order dated 10.09.2021 insofar as it seeks to reject the petitioner'sobjection on assumption of jurisdiction to reassess the petitioner for A.Y.2017-18, is set aside;
(ii) the petitioner shall have two weeks' time from now to file a detailedobjection to the reasons to believe contained in the order dated10.09.2021;
(iii) upon such objection filed, the assessing authority may fix a shortdate for personal hearing on the objection, within next two weekstherefrom.
4. The original record has been returned to learned counsel for therevenue.
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