Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
>
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
TMI Blog
Home / TMI Blogs / RSS

2009 (8) TMI 1164

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....cate with A.K. Jasani for appellant. Mr. Suresh Kumar for respondent. JUDGEMENT 1. Heard learned senior counsel for the appellant and learned counsel appearing for revenue. All the appeals were admitted on 27/8/2008 on the following substantial questions of law:- 1. Whether on the facts and in the circumstances of the case the Tribunal was justified in law in holding that the assessing....

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....ction to decide the issue issue afresh after considering the annual letting value as per municipal authorities and actual rent received by the assessee and other relevant facts and then pass necessary order as per law after hearing the assessee. It appears that even after remand, the assessing officer has taken the same view which was set aside by the Tribunal. The appeal went upto the Tribunal af....

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....4. Considering the inconsistency in the orders, the impugned order is set aside looking to the consensus between the parties and the matter is remanded back to the assessing officer in the light of the judgments of this Court in M.V. Sonawala, J.K. Investors (Bombay) Ltd. and Akshay Textiles Trading & Agencies Ltd. referred hereinabove and the other judgments holding the field with one more clarif....