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2013 (2) TMI 377

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....er: R.S. Syal: The appeal by the revenue and the cross objection by the assessee in respect of quantum proceedings and the appeal by the revenue against the penalty proceedings relate to assessment year 2004-05. Since all these appeals are based on similar facts and circumstances, we are therefore proceeding to dispose off them by this consolidated order for the sake of convenience. I.T.A. N....

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....r passed by ld CIT(A) directing the AO to recompute the disallowance u/s.14A of the Act as per Rule 8D. The Tribunal vide its order dated 20.12.2010 in I.T.A. No.1911/M/2009 remitted the matter to the file of AO for computing the disallowance as per the judgment of the Hon'ble Jurisdictional High Court in the case of Godrej Boyce Mfg Co. Ltd Vs DCIT (328 ITR 81). In the appeal against the order pa....

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.... AO is ceased of the matter for computing the disallowance u/s.14A, as per the order passed by the Tribunal, there can be no question of continuing with any other proceedings. Accordingly, the appeal filed by the revenue is dismissed. 5. Ld A.R. was fair enough not to press the cross objection, which is only against disallowance u/s.14A of the Act. 6. In the result, appeal filed by revenue i....