Commissioner Of Income Tax It 4 v. Sabre Asia Pacific India Pte Ltd
644-IA-293-2024 (OS).DOC
IN THE HIGH COURT OF JUDICATURE AT BOMBAY
ORDINARY ORIGINAL CIVIL JURISDICTION INTERIM APPLICATION NO. 293 OF 2024 IN INCOME TAX APPEAL(IT)(ST) NO. 34140 OF 2022 Commissioner Of Income Tax It 4 ...Applicant
Versus
Sabre Asia Pacific India Pte Ltd
...Respondent
___________ Mr. Suresh Kumar a/w Mohinee Chougule for Applicant. Mr. Atul Jasani, for Respondent.
__________
CORAM:
G. S. KULKARNI & ADVAIT M. SETHNA, JJ.
Date:
20 DECEMBER, 2024.
P.C.
1.
We have heard Mr. Kumar, learned counsel for the Applicant/revenue and Mr. Atul Jasani, learned counsel for the respondent. 2.
By this application, the applicant has prayed for condonation of delay of 9 days in filing the aforesaid appeal under the provisions of Section 260A of the Income Tax Act, 1961.
3.
Mr. Atul Jasani, learned counsel for the assessee has vehemently opposed this application.
4.
We have perused the averments as made in the application, which make out a sufficient case for the delay to be condoned. 5.
In the aforesaid circumstances, it is in the interests of justice that the application is allowed. It is accordingly allowed in terms of prayer clause (a). 6.
Office objections, if any, be removed within a period of eight weeks from today, failing which the appeal shall stand dismissed without further reference to the Court. (ADVAIT M. SETHNA, J.) (G. S. KULKARNI , J.) Mayur Adane