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High Court of DelhiW.P.(C)/10088/2023

Anil Saraff v. Deputy Commissioner Of Income Tax Officer Circle 13(1) & ANR.

2024-03-14Hon'Ble Mr. Justice Yashwant Varma,Hon'Ble Mr. Justice Purushaindra Kumar Kaurav2 pages

$~50 * IN THE HIGH COURT OF DELHI AT NEW DELHI + W.P.(C) 10088/2023 ANIL SARAFF ..... Petitioner Through:

Ms. Surbhi Chandra, Adv.

versus DEPUTY COMMISSIONER OF INCOME TAX OFFICER CIRCLE 13(1) & ANR.

..... Respondents Through:

Mr. Abhishek Maratha, SSC with Ms. Nupur Sharma & Mr.

Parth Semwal, Advs.

CORAM:

HON'BLE MR. JUSTICE YASHWANT VARMA HON'BLE MR. JUSTICE PURUSHAINDRA KUMAR KAURAV

O R D E R

% 14.03.2024 1.

On hearing learned counsels for parties, we find that the issues and the challenge raised, stands concluded in light of the judgment rendered by the Court in Twylight Infrastructure (P) Ltd. v. CIT [2024 SCC OnLine Del 330].

2.

Accordingly, for the reasons assigned in the aforenoted judgment, we allow the instant writ petition and quash the impugned order dated 29 July 2022 passed under Section 148A(d) of the Income Tax Act, 1961 and consequential proceedings initiated thereto, subject to liberty reserved as per paragraph Nos. 28 to 30 of Twylight Infrastructure, and which read as under:

"28. Before us, the counsel for the revenue continue to hold this position. The only liberty that they seek is that if, based on the judgment in Ganesh Dass Khanna, the impugned orders and notices are set aside, liberty be given to the revenue to commence reassessment proceedings afresh.

The authenticity of the order can be re-verified from Delhi High Court Order Portal by scanning the QR code shown above. The Order is downloaded from the DHC Server on 18/03/2024 at 15:42:22

29. Therefore, having regard to the aforesaid, the impugned notices and orders in each of the above-captioned writ petitions are quashed on the ground that there is no approval of the specified authority, as indicated in Section 151(ii) of the Act. The direction is issued with the caveat that the revenue will have liberty to take steps, if deemed necessary, albeit as per law.

30. Needless to add, the rights and contentions of both the sides will remain open, in the event the revenue triggers reassessment proceedings."

3.

The writ petition is disposed of accordingly. YASHWANT VARMA, J.

PURUSHAINDRA KUMAR KAURAV, J.

MARCH 14, 2024/kk The authenticity of the order can be re-verified from Delhi High Court Order Portal by scanning the QR code shown above. The Order is downloaded from the DHC Server on 18/03/2024 at 15:42:22