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Alok Aradhe and Nataraj Rangaswamy

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Court :
Karnataka High Court

Brief :
Learned counsel for the assessee submits that the assessee has approached under the 'Vivad se Vishwas' scheme and Form 3 under the scheme has been issued. He, therefore, seeks leave of this Court to withdraw the appeal and has filed a memo in this regard. The aforesaid memo is taken on record.

Citation :
I.T.A. NO.100 OF 2016

IN THE HIGH COURT OF KARNATAKA AT BENGALURU 
DATED THIS THE 08TH DAY OF FEBRUARY 2021 

PRESENT

THE HON'BLE MR. JUSTICE ALOK ARADHE 

AND

THE HON'BLE MR. JUSTICE NATARAJ RANGASWAMY

I.T.A. NO.100 OF 2016

BETWEEN:

HEWLETT PACKARD (INDIA) SOFTWARE 
OPERATION PRIVATE LIMITED
SY NO. 192, WHITEFIELD ROAD 
MAHADEVAPURA
BANGALORE - 560 048
REPRESENTED HEREIN BY ITS DIRECTOR 
MR. BELAVADI RAMASWAMY KIRAN.

(BY MR.SURYANARAYANA, ADVOCATE) 

AND:
1.THE ASSISTANT COMMISSIONER OF 
INCOME TAX CIRCLE 3(1)(1) 
(ERSTWHILE THE ASSISTANT 
COMMISSIONER OF INCOME TAX 
CIRCLE 11(4)].

BMTC BUILDIJNG 
80 FT ROAD 
KORAMANGALA
BANGALORE - 560 095.
 .... APPELLANT
 
2.THE COMMISSIONER OF INCOME TAX
C.R.BUILDING
QUEEN S ROAD 
BANGALORE - 560 001.

... RESPONDENTS

(BY MR.K.V. ARAVIND FOR ADVOCATE)


THIS I.T.A. IS FILED UNDER SEC. 260-A OF INCOME TAX ACT 1961, ARISING OUT OF ORDER DATED 26.08.2015 PASSED IN ITA(TP)A NO.1682/BANG/2012 FOR THE ASSESSMENT YEAR 2008-09, PRAYING TO:

(i)  FORMULATE THE SUBSTANTIAL QUESTIONS OF LAW STATED ABOVE.

(ii) ALLOW THE APPEAL AND SET ASIDE THE ORDER OF THE INCOME TAX APPELLATE TRIBUNAL DATED: 26.08.2015 BEARING IN ITA(TP)A NO.1682/BANG/2012 FOR THE ASSESMENT YEAR 2008-09.

THIS I.T.A. COMING ON FOR ORDERS, THIS DAY,
ALOK ARADHE J., DELIVERED THE FOLLOWING:

JUDGMENT

Mr.T.Suryanarayana, learned counsel for the assessee. 
Mr.K.V.Aravind, learned counsel for the revenue.

Learned counsel for the assessee submits that the assessee has approached under the 'Vivad se Vishwas' scheme and Form 3 under the scheme has been issued. He, therefore, seeks leave of this Court to withdraw the appeal and has filed a memo in this regard. The aforesaid memo is taken on record.

2. In view of the aforesaid submission, the appeal is dismissed as withdrawn with liberty to the assessee to revive the same if occasion so arises.

sd/-
JUDGE

sd/-
JUDGE

 

 

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on 16 March 2021
Published in LAW
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