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2020 (5) TMI 511 - AT - Income Tax


Issues:
1. Validity of the impugned assessment order
2. Jurisdiction of the Dispute Resolution Panel (DRP)
3. Assessment of income discrepancy
4. Compliance with verification requirements for filing an appeal

Analysis:
1. The appellant challenged the assessment order for the Assessment Year 2013-14, alleging it was bad in law due to being a non-speaking order that ignored factual details and submissions. The appellant argued that the DRP's direction for further verification was beyond its jurisdiction under section 144C. The Tribunal noted the contentions but dismissed the appeal due to lack of proper authorization for filing the appeal, as the authorized signatory, Mr. Alan Wells, did not demonstrate valid power of attorney to verify the return of income, as required by section 140(c) of the Act. Consequently, the appeal was dismissed for non-compliance.

2. The appellant also contended that the directions issued by the DRP were ultra vires the Act. However, the Tribunal did not delve into the merits of this argument due to the procedural non-compliance regarding the verification of the appeal. The Tribunal emphasized the importance of adhering to the prescribed verification requirements under the Income Tax Rules to maintain the validity of the appeal process.

3. Regarding the discrepancy in the assessment of income, the appellant disputed the assessment of Long Term Capital Gain by the assessing officer, which significantly differed from the Long Term Capital Loss declared by the appellant. However, the Tribunal did not address the substance of this issue due to the dismissal of the appeal on procedural grounds related to the lack of proper authorization for filing the appeal.

4. The Tribunal highlighted the necessity of complying with the prescribed verification procedures for filing an appeal before the appellate tribunal. In this case, the appellant, a company registered in the United Kingdom, failed to provide sufficient evidence of the authorized signatory's valid power of attorney to verify the return of income. The Tribunal granted the appellant the opportunity to rectify this deficiency by submitting the proper authorization for signing the appeal form, with the option to request a recall of the dismissal order upon compliance with the verification requirements.

In conclusion, the dismissal of the appeal by the ITAT DELHI was primarily based on the procedural non-compliance related to the verification of the appeal by the authorized signatory. The Tribunal emphasized the significance of adhering to the prescribed verification procedures to ensure the validity of the appeal process before addressing the substantive issues raised by the appellant.

 

 

 

 

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