Gopal Krishna Bengeri vs. ITO
Parties Involved
Facts Summary
The present appeal arises from the order of the ld. CIT(A), Bangalore dated 24-09-2024 for the Assessment Year 2013-14. The assessee, Gopal Krishna Bengeri, has opted to settle the tax dispute under the Direct Tax Vivad Se Vishwas Scheme for AY 2013-14. The requisite amount of Rs.6,02,440/- was settled on 27.12.2024, and Form 3 was filed on 30.12.2024. Form 4 has been issued by the ld. PCIT on 20.01.2025 as acknowledgement for full and final settlement. The assessee requested approval for the withdrawal of this appeal, which the ld. D.R. did not object to.…
Decision in favour of
Assessee
Legal Issues
- 1. Whether the appeal can be withdrawn following the settlement of the tax dispute under the Direct Tax Vivad Se Vishwas Scheme.
Judgment Outcome
Decided in favour of Assessee.
Similar Judgements
M/s Flaktgroup India Pvt. Ltd. vs. ACIT
Delhi Bench ‘B’ benchAY 2013-14DismissedMonappa S Shetty Vs. The Income Tax Officer
Bangalore benchAY 2016-17DismissedSri Rajesh Soni vs. ITO Ward 33(7), Kolkata
Kolkata Bench benchAY 2012-13, 2013-14DismissedFocal Renewable Energy Two India Private Limited vs. ACIT & Focal Photovoltaic India Private Limited vs. ACIT
Delhi Bench benchAY 2016-17DismissedSh. Anubav Aggarwal vs. ACIT, Circle 43(1)
Delhi Bench benchAY 2013-14DismissedM/s. SRK Projects Pvt. Ltd. vs. ITO
Bangalore benchAY 2012-13Dismissed