Pr.Commissioner Of Income Tax-7 v. Premier Finance And Trading Co.Ltd
Priya Soparkar 12 itxa 1832-16-o IN THE HIGH COURT OF JUDICATURE AT BOMBAY ORDINARY ORIGINAL CIVIL JURISDICTION INCOME TAX APPEAL NO.1832 OF 2016 Pr.Commissioner of Income-Tax ... Appellant V/s.
Premier Finance & Trading Co. Ltd.
... Respondent --- Mr.Suresh Kumar for the Appellant.
Mr.Jay Bhansali for the Respondent.
--- CORAM : AKIL KURESHI AND M.S.SANKLECHA, JJ.
DATE : MARCH 6, 2019.
P.C.:- 1.
Revenue has filed this appeal against the judgment of the Income Tax Appellate Tribunal raising following question for our consideration:- "Whether on the facts and circumstances of the case, the Tribunal is justified in dismissing the revenue's appeal against the CIT(A) decision in directing the Assessing Officer to recompute the disallowance u/s 14A of the I.T.Act, 1961 on a proportionate basis?"
3.
An issue relates to the respondent-assessee for the
Priya Soparkar 12 itxa 1832-16-o assessment year 2004-05 and concerns the applicability of Section 14A of the Income Tax Act, 1961 ("the Act" for short). Perusal of the impugned judgment of the Tribunal would show that the Tribunal had in this respect upheld the order of the CIT (Appeals) directing the Assessing Officer to recompute the disallowance on proportionate basis. Learned counsel for the revenue submitted that the CIT (Appeals) had placed the matter back before the Assessing Officer for recomputation of disallowance. That being the position, we do not find the error in view of the Tribunal, not interfering the order of the CIT (Appeals). No question of law arises. Tax appeal is dismissed. (M.S.SANKLECHA,J.) (AKIL KURESHI,J.) ....