IN THE INCOME TAX APPELLATE TRIBUNAL B BENCH, PUNE , , , BEFORE SHRI ANIL CHATURVEDI, AM AND SHRI VIKAS AWASTHY, JM . / ITA NO . 2599 /P U N/201 6 / ASSESSMENT YEAR : 20 09 - 10 THE ASSISTANT COMMISSIONER OF INCOME TAX, CIRCLE 1, AURANGABAD ....... / APPELLANT / V/S. M/S. EAST WEST SEEDS LTD., GAT NO. 66, VILLAGE - NARAYANPUR (BK), P.O. - WALUJ, TQ. - GANGAPUR AURANGABAD 431133 PAN : AANCE1237F / RESPONDENT ASSESSEE BY : SHRI NIKHIL PATHA K REVENUE BY : SHRI SUDHENDU DAS / DATE OF HEARING : 12 - 11 - 2018 / DATE OF PRONOUNCEMENT : 14 - 11 - 201 8 / ORDER PER VIKAS AWASTHY, JM : TH IS APPEAL BY THE REVENUE IS DIRECTED AGAINST THE ORDER OF COMMISSIONER OF INCOME TAX (APPEALS) - 13, PUNE DATED 03 - 08 - 2016 FOR THE ASSESSMENT YEAR 2009 - 10. 2. THE BRIEF FACTS OF THE CASE AS EMANATING FROM RECORDS ARE : THE ASSESSEE COMPANY ENTERED INTO VARIOUS INTERNATIONAL TRANSACTIONS DURING 2 ITA NO . 2599/PUN/2016, A.Y. 2009 - 10 THE PERIOD RELEVANT TO THE ASSESSMENT YEAR UNDER APPEAL. REFERENCE U/S. 92CA(1) O F THE INCOME TAX ACT, 1961 (HEREINAFTE R REFERRED TO AS THE ACT ) WAS MADE TO THE TRANSFER PRICING OFFICER (TPO) FOR COMPUTATION OF ARMS LENGTH PRICE (ALP) IN RELATION TO THE INTERNATIONAL TRANSACTIONS. THE TPO VIDE ORDER DATED 15 - 01 - 2013 PROPOSED ADJUSTMENT OF RS.2,73,38,231/ - IN RESPECT OF INTERNATIONAL TRANSACTIONS. THE ASSESSING OFFICER ON 28 - 03 - 2013 PASSED FINAL ASSESSMENT ORDER U/S. 143(3) R.W.S. 144C OF THE ACT AND ALSO ISSUED DEMAND NOTICE U/S. 156 AND NOTICE U/S. 271(1)(C) OF THE ACT ON THE SAME DATE. THE ASSESSEE FILED APPEAL BEFO RE THE COMMISSIONER OF INCOME TAX (APPEALS) ON 25 - 04 - 2013 ASSAILING THE ACTION OF ASSESSING OFFICER IN PASSING FINAL ASSESSMENT ORDER DATED 28 - 03 - 2013 WITHOUT FIRST PASSING DRAFT ASSESSMENT ORDER . THEREAFTER, THE ASSESSING OFFICER PASSED ANOTHER ASSESSMEN T ORDER DATED 30 - 04 - 2013 U/S. 143(3) R.W.S. 144C OF THE ACT , PURPORTED TO BE DRAFT ASSESSMENT ORDER. THE COMMISSIONER OF INCOME TAX (APPEALS) FOLLOWING THE DECISION OF HONBLE BOMBAY HIGH COURT IN THE CASE OF INTERNATIONAL AIR TRANSPORT ASSOCIATION VS. DC IT REPORTED AS 241 TAXMAN 249 HELD THAT THE FINAL ASSESSMENT ORDER PASSED WITHOUT PASSING THE DRAFT ASSESSMENT ORDER IS WITHOUT JURISDICTION. AGAINST THE FINDINGS OF COMMISSIONER OF INCOME TAX (APPEALS), THE REVENUE IS IN APPEAL BEFORE THE TRIBUNAL BY R AISING FOLLOWING GROUNDS : 1. THE ID. CIT (A) HAS ERRED BOTH ON FACTS AND IN LAW IN NOT APPLYING THE MANDATORY PROVISIONS OF SECTION 144C (1) OF THE IT ACT 1961 WHICH SPECIFICALLY MANDATES THE AO TO PASS DRAFT ASSESSMENT ORDER I N THE FIRST INSTANCE' IN WHICH THE AO BY MISTAKE APPENDED THE NOTICE OF DEMAND U/S 156 AND PENALTY NOTICE U/S 274 R.W.S. 271(1)(C) WHICH BY ITSELF CANNOT MAKE THE ABOVE DRAFT ASSESSMENT ORDER A FINAL ORDER AS ERRONEOUSLY HELD BY CIT (A). 2. WITHOUT PREJUDICE TO THE ABOVE GROUND, THE AO MENTIONED CLEARLY IN HIS ORDER DATED 07/02/2014, 'DRAFT ASSESSMENT ORDER' AND BY MISTAKE APPENDED NOTICE OF DEMAND U/S 156 AND PENALTY NOTICE U/S 274 R.W.S. 271(1) (C) - WHICH IS A CURABLE DEFECT IN VIEW OF TH E SPECIFIC PROVISIONS OF SECTION 144C (1) AND SECTION 292 B OF THE IT ACT 1961, WHICH CLEARLY PROVIDES FOR CURING OF SUCH DEFECTS, WHEN IN FACTS AND SUBSTANCE THE ORDER IS IN CONFORMITY WITH THE REQUIREMENTS OF SECTION 144C (1) OF THE IT ACT 1961. 3 ITA NO . 2599/PUN/2016, A.Y. 2009 - 10 3. THE I D. CIT (A) ERRED IN NOT APPLYING THE PRINCIPLES OF 'APPROBATE AND REPROBATE' TO THE ASSESSEE WHO SPECIFICALLY UNDERSTOOD THE ORDER OF THE AO DATED 07/02/2014 U/S 144C (1) BY SPECIFICALLY STATING TO HIS APPEAL TO THE DRP THAT IT IS AS AN APPEAL AGAINST THE IMPUGNED DRAFT ASSESSMENT ORDER. 4. THE ID. CIT CA) ERRED BOTH IN FACTS AND IN LAW IN NOT APPLYING THE PRINCIPLES OF 'ESTOPPEL BY CONDUCT' AGAINST THE ASSESSEE BY FIRST TREATING THE ORDER OF THE AO AS DRAFT ASSESSMENT ORDER AND THEN SUBSEQUENTLY ALTERING HIS DECISION TO THE DETRIMENT OF REVENUE, IN APPEAL WHEN DURING THE ENTIRE ASSESSMENT PROCEEDINGS HE HAD ATTENDED AND UNDERSTOOD THE SAME AS 'DRAFT ASSESSMENT ORDER PROCEEDINGS' 3. SHRI NIKHIL PA THAK APPEARING ON BEHALF OF THE ASSESSEE SUBMITTED AT THE OUTSET THAT THE ASSESSING OFFICER IN VIOLATION OF THE PROVISIONS OF SECTION 144C(1) HAS PASSED THE FINAL ASSESSMENT ORDER DATED 28 - 03 - 2013 WITHOUT PASSING THE DRAFT ASSESSMENT ORDER. THE LD. AR SUBMITTED THAT THE PUNE BENCH OF THE TRIBUNAL IN THE CASE OF DY. COMMISSIONER OF INCOME TAX VS. M/S. REHAU POLYMERS PVT. LTD. IN ITA NO. 566/PUN/ 2015 FOR ASSESSMENT YEAR 2010 - 11 DECIDED ON 14 - 06 - 2017 HAS HELD THAT FINAL ASSESSMENT ORDER PASSED BY THE ASSESSING OFFICER WITHOUT PASSING THE DRAFT ASSESSMENT ORDER IS BAD IN LAW. THE LD. AR VEHEMENTLY SUPPORTED THE ORDER OF COMMISSIONER OF INCOME TAX ( APPEALS) AND PRAYED FOR DISMISSING THE APPEAL OF REVENUE. 4. ON THE OTHER HAND SHRI SUDHENDU DAS REPRESENTING THE DEPARTMENT SUBMITTED THAT THE ASSESSING OFFICER HAS PASSED DRAFT ASSESSMENT ORDER DATED 30 - 04 - 2013 U/S. 143(3) R.W.S. 144C OF THE ACT, THER EFORE, EARLIER ASSESSMENT ORDER I.E. 28 - 03 - 2013 IS NOT TO BE CONSIDERED. 5. W E HAVE HEARD THE SUBMISSIONS MADE BY REPRESENTATIVES OF RIVAL SIDES AND HAVE PERUSED THE ORDERS OF AUTHORITIES BELOW . THE SOLITARY ISSUE FOR ADJUDICATION BEFORE THE TRIBUNAL A S EMANATING FROM THE RECORD S IS ; W HETHER THE ASSESSING OFFICER HAS ERRED IN PASSING FINAL ASSESSMENT ORDER 4 ITA NO . 2599/PUN/2016, A.Y. 2009 - 10 U/S. 143(3) R.W.S. 144C WITHOUT PASSING DRAFT ASSESSMENT ORDER IN TRANSFER PRICING PROCEEDINGS . 6. THE TPO VIDE ORDER DATED 15 - 01 - 2013 PASSED ORDE R U/S. 92CA(3) OF THE ACT AND PROPOSED ADDITION OF RS.2,73,38,231/ - IN RESPECT OF INTERNATIONAL TRANSACTIONS ENTERED INTO BY THE ASSESSEE. THEREAFTER, THE ASSESSING OFFICER VIDE ORDER DATED 28 - 03 - 2013 PASSED THE ASSESSMENT ORDER U/S. 143(3) R.W.S. 144C . ALONG WITH THE ORDER ASSESSING OFFICER ALSO ISSUED DEMAND NOTICE U/S. 156 AND NOTICE U/S. 271(1)(C) OF THE ACT ON THE SAME DATE I.E. 28 - 03 - 2013. ISSUANCE OF NOTICE ALONG WITH THE ASSESSMENT ORDER CLEARLY SUGGESTS THAT THE ASSESSING OFFICER HAD ISSUED THE FINAL ASSESSMENT ORDER. 7. THE PROVISIONS OF SECTION 144C (1) MANDATES THAT THE ASSESSING OFFICER SHALL PASS DRAFT ASSESSMENT ORDER . THE ASSESSEE WITHIN A PERIOD OF 30 DAYS OF THE RECEIPT OF THE DRAFT ASSESSMENT ORDER SHALL FILE HIS ACCEPTANCE OF VARIATIO N OR FILE HIS OBJECTIONS AGAINST THE ADJUSTMENTS WITH THE DISPUTE RESOLUTION PANEL (DRP) . IN THE PRESENT CASE, THE ASSESSING OFFICER HAS DIRECTLY PASSED THE FINAL ASSESSMENT ORDER USURPING ASSESSEES VALUABLE RIGHT TO FILE OBJECTIONS BEFORE THE DRP AGAINST THE DRAFT ASSESSMENT ORDER. THE HONBLE BOMBAY HIGH COURT IN THE CASE OF INTERNATIONAL AIR TRANSPORT ASSOCIATION VS. DCIT (SUPRA) HAS HELD THAT THE FINAL ASSESSMENT ORDER PASSED WITHOUT DRAFT ASSESSMENT ORDER IS WITHOUT JURISDICTION. THE HONBLE BOMBAY HIGH COURT IN RECENT DECISIONS PR. COMMISSIONER OF INCOME TAX VS. ANDREW TELECOMMUNICATIONS (P.) LTD. REPORTED AS 96 TAXMANN.COM 613 AND DIMENSION DATA ASIA PACIFIC PTE LTD. VS. DY. COMMISSIONER OF INCOME TAX REPORTED AS 257 TAXMAN 442 HAS 5 ITA NO . 2599/PUN/2016, A.Y. 2009 - 10 REITERAT ED THAT FINAL ASSESSMENT ORDER PASSED U/S. 144C(13) R.W.S. 143(3) WITHOUT PASSING A DRAFT ASSESSMENT ORDER U/S. 144C(1) DESERVES TO BE QUASHED BEING VIOLATIVE OF SECTION 144C(1) OF THE ACT. 8. THUS, IN VIEW OF THE SETTLED LEGAL POSITION WE DO NOT FIN D ANY INFIRMITY IN THE ORDER OF COMMISSIONER OF INCOME TAX (APPEALS) IN QUASHING THE ASSESSMENT ORDER DATED 28 - 03 - 2013 PASSED U/S. 143(3) R.W.S. 144C OF THE ACT. ACCORDINGLY, THE IMPUGNED ORDER IS UPHELD AND THE APPEAL OF THE REVENUE IS DISMISSED BEING DE VOID OF ANY MERIT. 9. BEFORE PARTING WITH THE ORDER WE WOULD LIKE TO MENTION THAT THE REVENUE IN GROUND NOS. 2 AND 3 OF THE APPEAL HAS REFERRED TO S O ME DRAFT ASSESSMENT ORDER DATED 07 - 02 - 2014. HOWEVER, COPY OF THE SAID ORDER HAS NEITHER BEEN FILED AL ONG WITH APPEAL NOR IT HAS BEEN BROUGHT ON RECORD BY THE DEPARTMENT TILL DATE. THERE APPEARS TO BE NO SUCH ASSESSMENT ORDER DATED 07 - 02 - 2014 FOR ASSESSMENT YEAR 2009 - 10. THEREFORE, IN OUR CONSIDERED VIEW GROUND NOS. 2 AND 3 OF THE APPEAL ARE MISCONCEIVED AND ARE LIABLE TO BE DISMISSED ON THIS ACCOUNT AS WELL . 10 . IN THE RESULT, THE APPEAL OF THE REVENUE IS DISMISSED. ORDER PRONOUNCED ON WEDNESDAY, THE 14 TH DAY OF NOVEMBER, 2018 . SD/ - SD/ - ( / ANIL CHATURVEDI ) ( / VIKAS AWASTHY) / ACCOUNTANT MEMBER / JUDICIAL MEMBER / PUNE; / DATED : 14 TH NOVEMBER, 2018 RK 6 ITA NO . 2599/PUN/2016, A.Y. 2009 - 10 / COPY OF THE ORDER FORWARDED TO : 1. / THE APPELLANT. 2. / THE RESPONDENT. 3. ( ) / THE CIT(A) - 13, P UNE 4. / THE PR. CIT , AURANGABAD 5. , , , / DR, ITAT, B BENCH, PUNE. 6. / GUARD FILE. / / // TRUE COPY// / BY ORDER, / PRIVATE SECRETARY, , / ITAT, PUNE