Delhi HC directs that the Petitioner shall file its reply/objections to the Show Cause Notice within new deadlines,

Delhi HC directs that the Petitioner shall file its reply/objections to the Show Cause Notice within new deadlines

Shivani Bhati | Nov 19, 2021 |

Delhi HC directs that the Petitioner shall file its reply/objections to the Show Cause Notice within new deadlines,

Delhi HC directs that the Petitioner shall file its reply/objections to the Show Cause Notice within new deadlines

Issue

Writ petition has been filed before the Delhi HC challenging the impugned draft assessment order dated 29th August 2021 passed by the Respondents under Section 144C (1) of the Income Tax Act, 1961 as well as the show cause notice dated 27th August 2021.

Facts

  • The Petitioner states that the impugned draft assessment order and show cause notice are non est since the mandatory provision, namely, Section 144B has not been complied with by the Respondents and the same is also violative of the principles of natural justice.
  • The Respondent vide the show cause notice dated 24th August 2021 and draft assessment order dated 29th August 2021, proposed to assess the income of the Petitioner at Rs.48,07,37,965/- as against the returned loss of Rs.2,42,15,980/- declared by the Petitioner.
  • The Petitioner states that in the impugned show cause notice, the Petitioner was given time up to 23:59 hours of 03rd September 2021 whereby the Petitioner was required to file its written objections to the proposed variation and if required, request for a personal hearing.
  • The argument of counsel for the Petitioner is that the Respondents, without waiting for the expiry of the time period to file a reply to the show cause notice, passed the impugned draft assessment order under Section 144C of the Act on 29th August 2021 i.e., five days prior to the due date of filing the reply and has proposed to make disallowances to the tune of Rs.50,49,53,945 in aggregate.

Judgement

Delhi HC held that there has been a violation of principle of natural justice as well as Section 144B(1)(xvi)(b) of the Act in as much as the impugned draft assessment order under Section 144C (1) of the Act has been passed five days prior to the last date for filing of the reply/objections to the Show Cause notice by the petitioner.

Consequently, the draft assessment order dated 29th August, 2021 passed by respondent under Section 144C (1) of the Act is hereby quashed. Further, this Court directs that the Petitioner shall file its reply/objections to the Show Cause Notice dated 27th August, 2021 on or before 24th September, 2021 and the Assessing Officer shall pass a fresh draft assessment order in terms of Section 144C (1) of the Act on or before 30th September, 2021. To facilitate the filing of the reply/objections by the petitioner, the Assessing Officer is directed to open functionality on the online portal. The Petitioner is also directed to file its reply/objections to the Show Cause Notice by email.

To Read the Judgment Download PDF Given Below :

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