IN THE INCOME TAX APPELLATE TRIBUNAL HYDERABAD BENCHES B, HYDERABAD BEFORE SHRI D. MANMOHAN, VICE PRESIDENT AND SHRI B. RAMAKOTAIAH, ACCOUNTANT MEMBER I.T.A. NOS. 133 & 135/HYD/2014 ASSESSMENT YEARS : 2008-09 & 2009-10 THE INCOME TAX OFFICER , WARD-7(1), HYDERABAD VS SHRI SYED ADEELUDDIN, HYDERABAD [PAN: AYFPS9511H] (APPELLANT) (RESPONDENT) FOR REVENUE : SHRI B. KURMI NAIDU, DR FOR ASSESSEE : NONE DATE OF HEARING : 22 - 1 2 - 201 5 DATE OF PRONOUNCEMENT : 22 - 1 2 - 2015 O R D E R PER B. RAMAKOTAIAH, A.M. : THESE APPEALS ARE FILED BY THE REVENUE. AT THE OUTS ET, IT IS OBSERVED THAT THE TAX EFFECT INVOLVED IN EACH OF TH ESE APPEALS IS BELOW RS.10 LAKHS. VIDE CIRCULAR NO.21/2015 DATED 10 TH DECEMBER, 2015, BEARING F.NO.279/- MISC.142/2007-IT I(PT), THE CBDT, FUNCTIONING UNDER THE MINISTRY OF FINANCE, WI TH A VIEW TO REDUCE UNNECESSARY LITIGATION ON THEIR PART, HAS I SSUED A CIRCULAR, WHEREIN THEY HAVE REVISED THE MONETARY LIMITS FOR F ILING OF APPEALS BY THE DEPARTMENT BEFORE THE INCOME TAX APPELLATE T RIBUNAL, HIGH COURTS AND SUPREME COURT. INSOFAR AS THE TRIBUNAL IS CONCERNED, THE MONETARY LIMIT SPECIFIED IS RS.10 LAKHS. CBDT S PECIFIED THAT I.T.A. NOS. 133 & 135/HYD/2014 :- 2 -: WHERE THE TAX EFFECT DOES NOT EXCEED THE MONETARY L IMIT SPECIFIED THEREIN, THE CONCERNED AUTHORITY HAS TO WITHDRAW IT S APPEAL OR IT NEED NOT PRESS THE SAME. IT IS FURTHER SPECIFIED T HAT THE TAX EFFECT INDICATED THEREIN IS APPLICABLE TO ALL PENDING APPE ALS, THOUGH THEY ARE FILED BY THE REVENUE PRIOR TO THE ISSUANCE OF T HE SAID CIRCULAR. IT WAS ALSO CLARIFIED THAT THE ASSESSING OFFICER HA S TO CALCULATE THE TAX EFFECT SEPARATELY FOR EVERY ASSESSMENT YEAR IN RESPECT OF THE DISPUTED ISSUE(S) IN THE CASE OF EVERY ASSESSEE. I F, IN THE CASE OF AN ASSESSEE, THE DISPUTED ISSUE ARISES IN MORE THAN ON E YEAR(S), APPEAL(S) CAN BE FILED IN RESPECT OF SUCH ASSESSMEN T YEAR(S) IN WHICH TAX EFFECT IN RESPECT OF THE DISPUTED ISSUE E XCEEDS THE MONETARY LIMIT SPECIFIED, IN OTHER WORDS, IF THERE ARE A NUMBER OF YEARS, IF THE TAX EFFECT IS LESS THAN THE SPECIFIED LIMIT IN ONE YEAR, APPEAL CANNOT BE FILED OR THE SAME HAS TO BE WITHDR AWN FOR THAT YEAR, FOR WANT OF TAX EFFECT. HOWEVER, AN EXCEPTIO N IS MADE TO THIS DIRECTION WITH REGARD TO A COMBINED ORDER PASSED BY THE FIRST APPELLATE AUTHORITY. THAT IS, IF IN ONE OF THE YEA RS THE TAX EFFECT IS MORE THAN RS.10 LAKHS AND THE REVENUE DECIDES TO FI LE AN APPEAL, IN RESPECT OF OTHER YEARS COVERED BY THE SAID ORDER ALSO, REVENUE IS ELIGIBLE TO FILE APPEAL, EVEN THOUGH THE TAX EFFECT IN EACH OF THOSE YEARS IS LESS THAN RS.10 LAKHS. IT WAS ALSO CLARIF IED THAT MERELY BECAUSE THE APPEAL IS DISMISSED FOR WANT OF TAX EFF ECT, IT DOES NOT COME IN THE WAY OF THE DEPARTMENT IN FILING APPEAL FOR OTHER YEARS, AND IT DOES NOT MEAN THAT THE DEPARTMENT HAS ACQUIE SCED THE ISSUE. 2. THE ABOVE CIRCULAR WAS SPECIFICALLY MADE APPLICA BLE TO ALL PENDING APPEALS. IN THE PRESENT CASES, TAX EFFECT ON ACCOUNT OF THE RELIEF GRANTED BY THE CIT(A) WHICH LED TO THE FILIN G OF THE PRESENT I.T.A. NOS. 133 & 135/HYD/2014 :- 3 -: APPEALS BY THE REVENUE, IS ADMITTEDLY, LESS THAN R S.10 LAKHS IN EACH YEAR. 3. THE LEGISLATURE IN ITS WISDOM HAS INTRODUCED S.2 68A OF THE INCOME TAX ACT,1961, WHEREBY THE BOARD IS EMPOWERED TO ISSUE ORDERS/INSTRUCTIONS/DIRECTIONS TO THE INCOME-TAX AU THORITIES, FIXING THE MONETARY LIMITS FOR THE PURPOSE OF REGULATING THE FILING OF APPEALS. IN THE LIGHT OF THE CIRCULAR DATED 10.12. 2015, ISSUED BY THE CBDT IN EXERCISE OF THE POWERS CONFERRED IN IT BY SUBSECTION (1) OF S.268A, WE ARE OF THE VIEW THAT THE APPEAL FILED HEREIN SHOULD NOT HAVE BEEN PRESSED BY THE REVENUE. THE LEARNED D EPARTMENTAL REPRESENTATIVE FAIRLY ADMITTED THAT THE REVENUE EFF ECT IN EACH OF THESE APPEALS IS LESS THAN THE LIMIT PRESCRIBED IN PARA-3 OF THE ABOVE CIRCULAR ISSUED BY THE CBDT. HAVING REGARD T O THE CIRCUMSTANCES OF THE CASE, WE DISMISS THE APPEALS O F THE REVENUE AS WITHDRAWN/NOT PRESSED, AS PRONOUNCED IN THE OPEN COURT. SD/- SD/- (D. MANMOHAN) (B. RAMAKOTAIAH) VICE PRESIDENT ACCOUNTANT MEMBE R HYDERABAD, DATED 22 ND DECEMBER, 2015 TNMM I.T.A. NOS. 133 & 135/HYD/2014 :- 4 -: COPY TO : 1. THE INCOME TAX OFFICER, WARD-7(1), II FLOOR, B-B LOCK, IT TOWERS, AC GUARDS, HYDERABAD. 2. SHRI SYED ADEELUDDIN, D.NO. 12-2-830/34, ALAPATI NAGAR, MEHDIPATNAM, HYDERABAD. 3 . CIT ( APPEAL S ) - VI , HYDERABAD. 4. THE C IT - VI , HYDERABAD. 5. D.R. ITAT, HYDERABAD. 6. GUARD FILE.