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        Case ID :

        2019 (12) TMI 347 - AT - Income Tax

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        Appeal allowed for statistical purposes, case remanded for further consideration. The appeal was allowed for statistical purposes, emphasizing the importance of proper compliance and fair utilization of opportunities for the appellant. ...
                        Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

                            Appeal allowed for statistical purposes, case remanded for further consideration.

                            The appeal was allowed for statistical purposes, emphasizing the importance of proper compliance and fair utilization of opportunities for the appellant. The case was remanded to the First Appellate Authority for further consideration based on the presented facts, highlighting the significance of substantial justice and the right to appeal in a fair and informed manner.




                            Issues:
                            1. Validity of assessment order due to lack of proper notice service.
                            2. Validity of assessment order due to lack of evidence of affixture of notices.
                            3. Denial of opportunity of being heard to the appellant/assessee.
                            4. Allegations of victimization and suffering without fault.

                            Issue 1: Validity of assessment order due to lack of proper notice service:
                            The appellant challenged the assessment order citing that the Assessing Officer (AO) erred by not serving notice under section 148 of the Income Tax Act, 1961. The appellant argued that failure to serve notice renders the assessment void ab initio. The appellant highlighted the necessity of proper notice service for a valid assessment order. The appellant referenced legal precedents emphasizing the importance of notice service for a lawful assessment. The appellant contended that the absence of notice service invalidated the assessment order.

                            Issue 2: Validity of assessment order due to lack of evidence of affixture of notices:
                            The appellant contested the assessment order on grounds of lack of evidence regarding the identification of the place of affixture of notices. The appellant argued that without proof of an individual person being associated with identifying the place of affixture of notices, the notice under section 144 is legally flawed. Legal precedents were cited to support the argument that without proper evidence of affixture, the notice is considered bad in law. The appellant pointed out discrepancies in the AO's actions regarding notice service through affixture, emphasizing the necessity of evidence for a valid notice service.

                            Issue 3: Denial of opportunity of being heard to the appellant/assessee:
                            The appellant raised concerns regarding the denial of the opportunity to be heard during the assessment proceedings. The appellant argued that the principle of natural justice mandates that every party should have the chance to present their case. The appellant contended that the order passed without granting the opportunity of being heard goes against established legal principles. The appellant emphasized the importance of being heard before any decision is made.

                            Issue 4: Allegations of victimization and suffering without fault:
                            The appellant alleged victimization and suffering without fault, stating that the appellant had been subjected to undue hardship despite no wrongdoing. The appellant mentioned being in custody without committing any offense, highlighting the distress faced by the entire family. The appellant's circumstances were presented to demonstrate the unfair treatment faced, including financial difficulties and personal hardships. The appellant's plea for justice in light of the alleged victimization was a key aspect of the appeal.

                            The judgment ultimately allowed the appeal for statistical purposes, emphasizing the need for proper compliance and fair utilization of opportunities provided to the appellant. The issue was remanded back to the First Appellate Authority for further consideration based on the relevant facts presented by the appellant. The judgment highlighted the importance of substantial justice and the proper exercise of the right to appeal in a fair and informed manner.
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                            Topics

                            ActsIncome Tax
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