Knowlarity Communications India Private Limited v. Assistant Commissioner of Income-tax & Anr
[Citation -2020-LL-0703-1]

Citation 2020-LL-0703-1
Appellant Name Knowlarity Communications India Private Limited
Respondent Name Assistant Commissioner of Income-tax & Anr.
Court HIGH COURT OF DELHI AT NEW DELHI
Relevant Act Income-tax
Date of Order 03/07/2020
Assessment Year 2018-19
Judgment View Judgment
Keyword Tags grant of refund
Bot Summary: Present writ petition has been filed seeking direction to the respondent to grant refund for Assessment Year 2018-19 of Rs.1,39,59,190/- along with interest under Section 244A of the Income Tax Act, 1961. In the present petition, it was averred that the action of the respondent in not granting refund was arbitrary, unreasonable and unjustified. On the last date of hearing, learned counsel for respondents had stated that a proposal under Section 241A of the Income Tax Act, 1961 had been mooted by the Assessing Officer. Learned counsel for respondents-revenue has filed an affidavit dated 02nd July, 2020 annexing the order dated 29th June, 2020 passed under Section 241A of the Income Tax Act, 1961. In view of the aforesaid order, learned counsel for petitioner wishes to withdraw the present writ petition with liberty to challenge the order dated 29th June, 2020 passed under Section 241A of the Income Tax Act, 1961. With the aforesaid liberty, present writ petition stands disposed of. Copy of the order be also forwarded to the learned counsel through e-mail.


IN HIGH COURT OF DELHI AT NEW DELHI W.P.(C) 3724/2020 KNOWLARITY COMMUNICATIONS INDIA PRIVATE LIMITED ..... Petitioner Through: Mr. Rohit Madan with Mr. Amol Sinha, Mr. Nitin Gulati, Mr. Ashvini Kumar and Mr. Kshitiz Garg, Advocates versus ASSISTANT COMMISSIONER OF INCOME TAX & ANR. ..... Respondents Through: Mr. Ajit Sharma, Advocate CORAM: HON'BLE MR. JUSTICE MANMOHAN HON'BLE MR. JUSTICE SANJEEV NARULA ORDER 03.07.2020 petition has been heard by way of video conferencing. Present writ petition has been filed seeking direction to respondent to grant refund for Assessment Year 2018-19 of Rs.1,39,59,190/- along with interest under Section 244A of Income Tax Act, 1961. In present petition, it was averred that action of respondent in not granting refund was arbitrary, unreasonable and unjustified. It was further averred that even though petitioner s case had been selected for scrutiny assessment under Section 143(2) of Income Tax Act, yet department was obliged in law to release refund amount claimed by assessee pending completion of scrutiny assessment. On last date of hearing, learned counsel for respondents had stated that proposal under Section 241A of Income Tax Act, 1961 had been mooted by Assessing Officer. He was directed to produce said proposal before this Court. Learned counsel for respondents-revenue has filed affidavit dated 02nd July, 2020 annexing order dated 29th June, 2020 passed under Section 241A of Income Tax Act, 1961. In view of aforesaid order, learned counsel for petitioner wishes to withdraw present writ petition with liberty to challenge order dated 29th June, 2020 passed under Section 241A of Income Tax Act, 1961. With aforesaid liberty, present writ petition stands disposed of. All rights and contentions of parties are left open. order be uploaded on website forthwith. Copy of order be also forwarded to learned counsel through e-mail. MANMOHAN, J SANJEEV NARULA, J JULY 03, 2020 rn Knowlarity Communications India Private Limited v. Assistant Commissioner of Income-tax & Anr
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