Court :
ITAT Hyderabad
Brief :
Both these appeals filed by the assessee for AYs 2012-13 and 2014-15 are directed against CIT(A) – 4 Hyderabad’s separate orders involving proceedings u/s 143(3) of the Income Tax Act, 1961 ; in short “the Act”.
Citation :
ITA 2220/Hyd/2018
IN THE INCOME TAX APPELLATE TRIBUNAL
HYDERABAD BENCHES “A”: HYDERABAD
(THROUGH VIRTUAL CONFERENCE)
BEFORE SHRI SATBEER SINGH GODARA, JUDICIAL MEMBER
and
LAXMI PRASAD SAHU, ACCOUNTANT MEMBER
ITA Nos. 2220 & 1935/H/2018
Assessment Year: 2012-13 & 2014-15
NSL Wind Power Company
(Phoolwadi) Pvt. Ltd.,
Hyderabad.
PAN – AAJCS 4220 J
(Appellant)
Vs.
Asst. Commissioner of
Income-tax, Circle – 16(1),
Hyderabad.
(Respondent)
Assessee by: Shri Pratik Shah
Revenue by: Shri Sunil Kumar Pandey
Date of hearing: 17/05/2021
Date of pronouncement: 18/05/2021
O R D E R
PER BENCH:
Both these appeals filed by the assessee for AYs 2012-13 and 2014-15 are directed against CIT(A) – 4 Hyderabad’s separate orders involving proceedings u/s 143(3) of the Income Tax Act, 1961 ; in short “the Act”.
2. At the outset, Ld. AR submitted before us that the assessee desires to avail ‘Vivad Se Viswas’ scheme. He further submitted that the assessee could not file Form No.1 & 2 due to paucity of time, however he assured the Bench that the Form No.1&2 shall be filed shortly.
3. The Ld. DR submitted that if the assessee desires to avail the Vivad se Vishwas scheme, 2020 the Revenue has no objection.
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