IN THE INCOME TAX APPELLATE TRIBUNAL DELHI BENCHES: A, NEW DELHI BEFORE SHRI N.S. SAINI, ACCOUNTANT MEMBER AND SMT. BEENA A PILLAI, JUDICIAL MEMBER ITA NO. 2755 /DEL/ 1993 AY: 1985 - 86 ACIT, INVESTIGATION CIRCLE 8(1) NEW DELHI VS . SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELH I ITA NO. 2866 /DEL/ 1993 AY: 1985 - 86 SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI VS . ACIT, INVESTIGATION CIRCLE 8(1) NEW DELHI ITA NO. 2756 /DEL/ 1993 AY: 1986 - 87 ACIT, INVESTIGATION CIRCLE 8(1) NEW DELHI VS . SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI ITA NO. 2867 /DEL/ 1993 AY: 1986 - 87 SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI VS . ACIT, INVESTIGATION CIRCLE 8(1) NEW DELHI ITA NO. 2757 /DEL/ 1993 AY: 1987 - 88 ACIT, INVESTIGATION CIRCLE 8(1) NEW DELHI VS . SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI ITA NO. 2868 /DEL/ 1993 AY: 1987 - 88 SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI VS . ACIT, INVESTIGATION CIRCLE 8(1) NEW DELHI ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 2 ITA NO. 2735 /DEL/ 2003 AY: 1985 - 86 ITA NO. 2736 /DEL/ 2003 AY: 1986 - 87 ITA NO. 2737 /DEL/ 2003 AY: 1987 - 88 I.T.O. WARD 48(4) NEW DELHI VS . SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI ITA NO. 2634 /DEL/ 1997 AY: 198 5 - 86 ITA NO. 2635 /DEL/ 1997 AY: 1986 - 87 ITA NO. 2636 /DEL/ 1997 AY: 1987 - 88 SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II NEW DELHI VS . ACIT, CIRCLE 15(2) NEW DELHI W TA NO. 74 /DEL/ 2005 AY: 1987 - 88 WEALTH TAX OFFICER WARD 47(3) NEW DELHI VS . SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI W TA NO. 82 /DEL/ 2005 AY: 1987 - 88 SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II, NEW DELHI VS . WEALTH TAX OFFICER WARD 48(4) NEW DELHI ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 3 W TA NO. 75 /DEL/ 2005 AY: 1988 - 89 WEALTH TAX OFFICER WARD 47(3) NEW DELHI VS . SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II, NEW DELHI W TA NO. 83 /DEL/ 2005 AY: 1988 - 89 SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II, NEW DELHI VS . WEALTH TAX OFFICER WARD 48(4) NEW DELHI W TA NO. 80 /DEL/ 2005 AY: 1985 - 86 W TA NO. 81 /DEL/ 2005 AY: 1986 - 87 SH. S.S.AHLUWALIA F - 5, SOUTH EXTENSION PART II , NEW DELHI VS . WEALTH TAX OFFICER WARD 48(4) NEW DELHI (APPELLANT) (RESPONDENT) ASSESSEE BY : SH. K.SAMPATH, ADV. DEPARTMENT BY : SMT. AASTHA LAKSHMI, SR.D.R. DATE OF HEARING : 0 7 /03/2019 DATE OF PRONOUNCEMENT : 1 3 /03/2019 ORDER PER BEENA A PILLAI, JUDICIAL MEMBER PRESENT CROSS A PPEALS HAVE BEEN FILED BY ASSESSEE AS WELL AS REVENUE AGAINST ORDER PASSED BY LD.CIT(A) IN I NCOME T AX AS WELL AS W EALTH T AX O RDERS, FOR ASSESSMENT YEARS 1985 - 86 TO 1988 - 89. 2. LD.COUNSEL SUBMITTED THAT ALL SUBJECT APPEALS PERTAIN TO THE PERIOD WHEN LD.CIT(A) POSSESSED POWERS TO SET ASIDE APPEAL TO THE ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 4 FILE OF LD.AO. HE SUBMITTED THAT THERE ARE MULTIPLE ORDERS OF LD.CIT(A) FOR SAME ASSESSMENT YEAR DUE TO REMAND BY LD.CIT(A) A GAINST WHICH PARTIES CAME INTO APPEAL BEFORE THIS TRIBUNAL AS WELL AS LD.AO SIMULTANEOUSLY PASSED ORDER GIVING EFFECT TO DIRECTION OF LD.CIT(A). 2.1 . LD.COUNSEL SUBMITTED THAT REVENUES GRIEVANCE WAS REGARDING FINDING OF LD.CIT(A) THAT JURISDICTION UNDE R SECTION 148 OF INCOME TAX ACT, 1961 AS WELL AS SECTION 16 OF WEALTH TAX ACT, 1957 HAS NOT BEEN VALIDLY ASSUMED BY LD.AO. WHEREAS ASSESSEES GRIEVANCE WAS THAT, ONCE LD.CIT (A) WAS CONVINCED THAT JURISDICTION WAS NOT VALIDLY ASSUMED BY LD.A.O. , HE SHOULD HAVE QUASHED THE ASSESSMENT. 2.2 . LD.COUNSEL SUBMITTED THAT IN THIS MANNER SEVERAL APPEALS RELATING TO SAME ISSUES UNDER I NCOME T AX AS WELL AS W EALTH T AX FOR VARIOUS YEARS WERE FILED WHICH GOT CONSOLIDATED SUBSEQUENTLY . HE SUBMITTED THAT THIS TRIBUNAL VI DE ITS ORDER DATED 19/03/02 QUASHED NOTICES UNDER SECTION 148 OF INCOME TAX ACT AND VIDE ORDER DATED 08/02/06 , QUASH ED NOTICE UNDER SECTION 16 OF WEALTH TAX ACT . 2.3 . IT HAS BEEN SUBMITTED THAT AGGRIEVED BY THESE ORDERS OF TRIBUNAL, REVENUE PREFERRED APPEAL BEFORE HONBLE DELHI HIGH COURT . HONBLE HIGH COURT HELD THAT JURISDICTION WAS VALIDLY ASSUMED BY LD. AO IN ENTIRE SET OF APPEALS FILED (INCOME T A X APPEALS AND W EALTH TAX APPEALS) AND ISSUED DIRECTIONS OF REMAND TO THIS TRIBUNAL AS UNDER: ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 5 52. IN VIEW OF THE AFORESAID DISCUSSION, WE ANSWER THE SUBSTANTIAL QUESTIONS OF LAW RELATING TO THE FIRST ROUND, I.E., ITA NOS. 256/02, 257/02 AND 255/02 HOLDING: - (I) THERE W AS FAILURE ON THE PART OF THE ASSESSING OFFICER, DELHI AND ITO, DIMAPUR IN NOT FOLLOWING THE PROCEDURE PRESCRIBED UNDER SECTION 124 OF THE ACT, BUT THIS WOULD NOT MAKE THE ASSESSMENT IN THE FIRST ROUND A NULLITY. THE ASSESSMENT ORDER PASSED SHOULD HAVE BEEN SET ASIDE AS WAS DIRECTED BY CIT(APPEALS) AND ASSESSMENTS REMITTED FOR A FRESH DECISION. QUESTION OF LAW IS ACCORDINGLY ANSWERED IN FAVOUR OF THE REVENUE AND AGAINST THE RESPONDENT - ASSESSEE BUT IN THE A FORESAID TERMS. (II) ITA NOS. 314/02, 315/02 AND 316/02 WHICH RELATE TO THE SECOND ROUND, THE SUBSTANTIAL QUESTION OF LAW IS ANSWERED IN FAVOUR OF THE REVENUE AND AGAINST THE RESPONDENT - ASSESSEE. THE TRIBUNAL CLEARLY ERRED IN NOT NOTICING THAT IN THE SECON D ROUND ASSESSMENT ORDER WERE PASSED BY ITO, DIMAPUR AND CONSEQUENT TO THE ORDER UNDER SECTION 127 , THE FIRST APPEAL WAS DECIDED BY CIT(APPEALS) AT DELHI. IN VIEW OF THE DECISION IN ITA NOS. 256/02, 257/02 AND 255/02 RELATING TO THE FIRST ROUND, THE ORDER OF THE TRIBUNAL DATED 13.05.2002 CANNOT BE SUSTAINED. (III) IN VIEW OF THE ANSWERS TO THE SUBSTANTIAL QUESTIONS OF LAW MENTIONED ABOVE RELATING TO THE FIRST AND THE SECOND ROUND, THE SUBSTANTIAL QUESTION O F LAW IN THE FOURTH ROUND I.E. ITA NOS. 1577/2006, 1578/2006 AND 1580/2006 HAS TO BE ANSWERED IN FAVOUR OF THE REVENUE AND AGAINST THE RESPONDENT - ASSESSEE BUT SUBJECT TO THE OBSERVATIONS MADE ABOVE. 53. IN LIGHT OF THE AFORESAID DISCUSSIONS , ITA NOS. 314/0 2, 315/02, 316/02, 1577/06, 1578/06 AND 1580/06 RELATING TO THE SECOND AND THE FOURTH ROUND ARE REMITTED TO THE TRIBUNAL FOR FRESH DECISION ON MERITS ON THE ADDITIONS MADE BY THE ASSESSING OFFICER. PAPER BOOKS RELATING TO THE FIRST ROUND SUBJECT MATTER OF ITA NOS. 256/02, ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 6 257/02 AND 255/02 WILL BE ALSO MADE AVAILABLE AND PLACED BEFORE THE TRIBUNAL. TO CUT SHORT DELAY, PARTIES ARE DIRECTED TO APPEAR BEFORE THE TRIBUNAL ON 15TH APRIL, 2014, WHEN A DATE OF HEARING WILL BE FIXED. WTAS 13/2006, 14/2006, 15/2006, 16/2006 & 18/2006 54. AT THE OUTSET, WE NOTICE THAT TWO APPEALS BEING WTA NOS. 15/2006 AND 16/2006 HAVE BEEN FILED IN RESPECT OF ASSESSMENT YEAR 1986 - 87. THE REASON, IT APPEARS, IS THAT THERE WERE TWO CROSS APPEALS BEFORE THE TRIBUNAL FOR THE SAID ASSESSM ENT YEAR. 55. BY ORDER DATED 20TH FEBRUARY, 2007, THE FOLLOWING SUBSTANTIAL QUESTION OF LAW HAS BEEN FRAMED IN THE WEALTH TAX APPEALS: WHETHER THE INCOME TAX APPELLATE TRIBUNAL WAS CORRECT IN LAW IN HOLDING THAT THE WEALTH TAX OFFICER HAS NO JURISDICTION TO PASS THE ASSESSMENT ORDER IN THE CASE OF ASSESSEE AND THEREBY QUASH THE ASSESSMENT FRAMED? 56. FOR THE PURPOSE OF RECORD, WE OBSERVE THAT THE TRIBUNAL HAD PASSED A COMMON ORDER DATED 8TH FEBRUARY, 2006 IN RESPECT OF FOUR ASSESSMENT YEARS AND HAS HELD THAT THE WEALTH TAX OFFICER HAD NO JURISDICTION TO PASS THE ASSESSMENT ORDERS UNDER THE WEALTH TAX ACT , 1957 (WT ACT, FOR SHORT) IN VIEW OF THE ORDERS PASSED BY THE INCOME TAX APPELLATE TRIBUNAL UNDER THE ACT I.E. INCOME TAX ACT , 1961 IN DIFFERENT INCOME TAX APPEALS RELATING TO ASSESSMENT YEARS 1985 - 86, 1986 - 87, 1987 - 88 AND 1988 - 89 VIDE ORDERS DATED 13TH MAY, 2002 AND 9TH AUGUST, 2002. THE TRIBUNAL IN THE I MPUGNED ORDER HAS NOT DISCUSSED FACTUAL MATRIX OR DETAILS RELATING TO WEALTH TAX PROCEEDINGS. SECTION 11 OF THE WT ACT BEFORE ITS AMENDMENT BY THE DIRECT TAX LAWS (AMENDMENT) ACT, 1987 BEFORE 31ST MARCH, 1988 STIPULATED THAT THE AUTHORITIES SHALL PERFORM T HEIR FUNCTIONS IN ACCORDANCE WITH SUCH ORDERS AS THE COMMISSIONER MAY MAKE FOR ALLOCATION OF WORK TO BE PERFORMED. WITH EFFECT FROM 1ST APRIL, 1988, SECTION 11(1) OF THE WT ACT STIPULATED THAT THE PROVISIONS OF SECTION 124 AND 127 OF THE ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 7 ACT I.E. THE INCOME TAX ACT SO FAR AS IT MAY BE, SHALL APPLY SUBJECT TO MODIFICATIONS IN SUB - SECTION (2). (THE SAID SUB SECTION IS NOT RELEVANT FOR THE PRESENT DECISION). 57. WE MAY NOW REFER TO THE FACTUAL MATRIX AS IS APPARENT FROM THE ASSESSMENT ORDERS AND APPELLATE ORDERS RELATING TO ASSESSMENT YEARS 1985 - 86 TO 1988 - 89. WTA 13/2006 (A.Y. 1985 - 86 ) - VALUATION DATED 31ST M ARCH, 1985 (1) A NOTICE UNDER SECTION 17 OF THE WT ACT WAS ISSUED AND RETURN OF WEALTH TAX DECLARING WEALTH OF RS.1,14,900/ - DATED 18TH OCTOBER, 1994 WAS FILED BY THE RESPONDENT ASSESSEE. BY ASSESSMENT ORDER DATED 17TH MARCH, 1997, THE NET WEALTH WAS ASSES SED AT 67,80,000/ - . (2) THE RESPONDENT ASSESSEE DID NOT OBJECT TO THE JURISDICTION OF THE ASSESSING OFFICER IN DELHI AND THE ADDRESS AS DISCLOSED IN THE WEALTH TAX ASSESSMENT ORDER WAS F - 5, N.D.S.E. PART II, NEW DELHI. (3) THE RESPONDENT ASSESSEE FILED AN APPEAL BUT DID NOT QUESTION THE JURISDICTION OF THE ASSESSING OFFICER. COMMISSIONER (APPEALS) BY ORDER DATED 27TH JANUARY, 1999 PASSED AN ORDER OF REMAND ON THE GROUND THAT QUESTION OF OWNERSHIP OF 18 FLATS ASSESSED AS WEALTH OF THE ASSESSEE WAS TO BE EXAM INED AND WAS A SUBJECT MATTER OF THE INCOME TAX PROCEEDINGS. THESE FLATS AS PER THE ASSESSEE BELONGED TO ASSESSEE'S RELATIVES. ASSESSMENT ORDER WAS ACCORDINGLY SET ASIDE FOR DE NOVO ASSESSMENT IN ACCORDANCE LAW WITH THE DIRECTION THAT THE QUESTION OF OWNER SHIP OF THE ASSETS COULD BE EXAMINED AND ESTABLISHED MORE APPROPRIATELY IN THE INCOME TAX PROCEEDINGS. THE ASSESSEE DID NOT PREFER ANY APPEAL AGAINST THE ORDER OF THE COMMISSIONER (APPEALS) AND AS NOTICED ABOVE, THE QUESTION OF JURISDICTION OF THE ASSESSIN G OFFICER WAS NOT CHALLENGED. (4) THE ASSESSING OFFICER THEREUPON PASSED ORDER DATED 23RD MARCH, 2001 AND TAXABLE WEALTH WAS ASSESSED AT RS.23,48,670/ - . ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 8 (5) COMMISSIONER (APPEALS) SUBSTANTIALLY UPHELD THE ADDITIONS MADE BY THE ASSESSING OFFICER INCLUDING A DDITIONS MADE ON ACCOUNT OF 18 COMMERCIAL FLATS AND HE ALSO UPHELD THE ISSUE OF NOTICE UNDER SECTION 17 OF THE WT ACT. HE ALSO UPHELD ADDITION OF RS.18,54,000/ - AS UNEXPLAINED DEPOSITS AND RS.5,00,000/ - AND RS.60,450/ - ON ACCOUNT OF FDRS ETC. HE DIRECTED T HAT INCOME TAX AND WEALTH TAX LIABILITIES SHOULD, HOWEVER, BE ALLOWED AS DEDUCTION. IT IS NOTICEABLE THAT THE QUESTION OF TERRITORIAL JURISDICTION OF THE ASSESSING OFFICER WAS NOT CHALLENGED BEFORE THE COMMISSIONER (APPEALS). WTA 15/2006 (A.Y. 1986 - 87) 1) IN THIS YEAR NOTICE UNDER SECTION 17 WAS ISSUED AND RETURN OF NET WEALTH OF RS.1,06,900/ - WAS FILED ON 18TH OCTOBER, 1993 WITH THE ADDRESS F - 5 N.D.S.E. PART II, NEW DELHI. RESPONDENT DID NOT OBJECT TO JURI SDICTION OF THE ASSESSING OFFICER. BY ASSESSMENT ORDER DATED 17TH MARCH, 1997, NET TAXABLE WEALTH TAX WAS ASSESSED AT RS.1,24,91,000/ - . 2) COMMISSIONER (APPEALS) VIDE ORDER DATED 27TH JANUARY, 1999 SET ASIDE THE SAID ASSESSMENT WITH DIRECTION FOR DE NOVO ASSESSMENT ON THE BASIS OF INCOME TAX PROCEEDINGS AS IN THE LAST YEAR. RESPONDENT ASSESSEE DID NOT CHALLENGE JURISDICTION OF THE ASSESSING OFFICER BEFORE THE COMMISSIONER (APPEALS). 3) BY DE NOVO ASSESSMENT ORDER DATED 23RD MARCH, 2001, ASSESSMENT WAS AGAI N FRAMED AT TAXABLE WEALTH OF RS.1,19,91,400/ - . COMMISSIONER (APPEALS) SUBSTANTIALLY UPHELD THE SAID ADDITIONS INCLUDING ADDITIONS MADE ON ACCOUNT OF 18 FLATS BUT HELD THAT THAT INCOME TAX AND WEALTH TAX LIABILITY SHOULD BE ALLOWED AS PER WEALTH TAX ACT . THE ASSESSEE DID NOT CHALLENGE AND QUESTION JURISDICTION OF THE ASSESSING OFFICER BEFORE THE COMMISSIONER (APPEALS). ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 9 WTAS 16/2006 AND 18/2005 (ASSESSMENT YEAR 1987 - 88) 1) RETURN OF INCOME WAS FILED AFTER I SSUE NOTICE UNDER SECTION 17 ON 18TH OCTOBER, 1993 DECLARING NET WEALTH OF RS.1,19,900/ - . THE ASSESSEE DID NOT CHALLENGE JURISDICTION OF THE ASSESSING OFFICER. BY ASSESSMENT ORDER DATED 17TH MARCH, 1997, A SSESSMENT MADE AT TAXABLE WEALTH OF RS. 99,49,000/ - . 2) THE ASSESSMENT WAS SET ASIDE WITH DIRECTION FOR DE NOVO ASSESSMENT FOR REASONS AND AS IN THE ASSESSMENT YEAR 1985 - 86 AND 1986 - 87. THE ASSESSEE DID NOT CHALLENGE THE JURISDICTION OF THE ASSESSING OFFIC ER AT DELHI. 3) DE NOVO FRESH ASSESSMENT ORDER DATED 23RD MARCH, 2001 WAS PASSED COMPUTING THE TAXABLE WEALTH OF RS.99,49,000/ - . 4) COMMISSIONER (APPEALS) BY ORDER DATED 31ST MARCH, 2005 UPHELD THE VALIDITY OF SECTION 17 NOTICE AND SUBSTANTIALLY UPHELD THE ADDITIONS. HOWEVER, HE GRANTED EXEMPTION/RELIEF IN RESPECT OF VALUE OF TREES ON AGRICULTURAL LAND WHICH WERE HELD TO BE EXEMPT. HE FURTHER DIRECTED THAT LIABILI TIES ON ACCOUNT OF WEALTH TAX AND INCOME TAX SHOULD BE ALLOWED AS PER LAWS. THE ASSESSEE DID NOT CHALLENGE AND QUESTION THE JURISDICTION OF ASSESSING OFFICER AT DELHI. WTA 14/2006(A.Y. 1988 - 89) 1) NOTICE UNDER SECTION 17 OF THE WT ACT WAS ISSUED AND RETURN OF WEALTH DECLARING WEALTH OF RS.1,38,400/ - WAS FILED ON 18TH OCTOBER, 1993. BY ASSESSMENT ORDER DATED 17TH MARCH, 1997, ASSESSMENT WAS FRAMED AT A TAXABLE WEALTH OF RS.53,34,100/ - . THE ASSESSEE DID NOT QUESTION JURISDICTION OF THE ASSESSING OFFICER IN DE LHI IN THE ASSESSMENT PROCEEDINGS. 2) COMMISSIONER (APPEALS) SET ASIDE THE ASSESSMENT ORDER AS DONE IN EARLIER ORDERS VIDE ORDER DATED 27TH JANUARY, 1999. QUESTION OF JURISDICTION WAS NOT RAISED BEFORE THE COMMISSIONER (APPEALS). ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 10 3) THE ASSESSMENT WAS AGAI N FRAMED BY DE NOVO ASSESSMENT ORDER DATED 23RD MARCH, 2001 AT TAXABLE WEALTH OF RS.53,34,100/ - . 4) ON APPEAL, COMMISSIONER (APPEALS) VIDE ORDER DATED 31ST MARCH, 2005 UPHELD THE VALIDITY OF NOTICE UNDER S ECTION 17 AND SEVERAL ADDITIONS MADE BY THE ASSESSING OFFICER. HOWEVER, RELIEF WAS GRANTED IN RESPECT OF VALUE OF CONSTRUCTION OF STRUCTURE AND EUCALYPTUS TREES ON THE AGRICULTURAL LAND, INCOME TAX AND WEALTH TAX LIABILITIES. SOME OTHER RELIEFS WERE ALSO G RANTED. 58. IN LIGHT OF THE AFORESAID DISCUSSION AND THE POSITION OF LAW, THE SUBSTANTIAL QUESTION OF LAW RAISED IN THE PRESENT WEALTH TAX APPEALS ARE ANSWERED IN FAVOUR OF THE APPELLANT - REVENUE AND AGAINST THE RESPONDENT - ASSESSEE. IT IS APPARENT THAT THE RESPONDENT ASSESSEE DID NOT CHALLENGE AND OBJECT TO THE JURISDICTION OF THE ASSESSING OFFICER AT ANY STAGE. REFERENCE TO THE COMMISSIONER/COMMISSIONERS WAS NOT REQUIRED AS PER THE SECTION 124 OF THE ACT. THERE WAS WAIVER AND RESPONDENT/ASSESSEE HAD ACCEPTED JURISDICTION OF THE AO, DELHI. TRIBUNAL COULD NOT HAVE, THEREFORE, HELD TO THE CONTRARY. THE TRIBUNAL WILL NOW DECIDE THE APPEALS OF THE ASSESSEE/REVENUE PENDING BEFORE THEM ON MERITS AND NOT ON THE QUE STION OF JURISDICTION OF THE ASSESSING OFFICER. TO CUT SHORT DELAY, PARTIES ARE DIRECTED TO APPEAR BEFORE THE TRIBUNAL ON 15TH APRIL, 2014, WHEN A DATE OF HEARING WILL BE FIXED. 3 . LD.SR.DR SUBMITTED THAT THE ISSUE HAS NOT BEEN DECIDED BY LD. CIT (A) ON MERITS. 4 . WE HAVE PERUSED SUBMISSIONS OF BOTH SIDES IN LIGHT OF RECORDS PLACED BEFORE US. ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 11 4 .1. FOR SAKE OF CONVENIENCE, WE SHALL LIST APPEALS BEFORE THIS TRIBUNAL CORRESPONDING TO APPEALS FILED BY RE VENUE BEFORE HONBLE HIGH COURT AS UNDER: INCOME TAX APPEALS S. NO. ASST YR ITA BEFORE TRIBUNAL ITA BEFORE HONBLE HIGH COURT 1. 1985 - 86 2634/DEL/97 314/02 2. 1985 - 86 2735/ D EL/03 1578/06 3. 1985 - 86 2755/D EL/93 AND 2866/ D EL/93 256/02 4. 1986 - 87 2736/ D EL/03 1579/06 5. 1986 - 87 2756/ D EL/93 AND 2867/ D EL/93 257/02 6. 1986 - 87 2635/ D EL/97 315/02 7. 1987 - 88 2636/ D EL/97 316/02 8. 1987 - 88 2737/ D EL/03 1580/06 9. 1987 - 88 2757/ D EL/03 AND 2868/ D EL/93 255/02 WEALTH T AX A PPEALS AGAINST ORDER OF LD.CWT(A) S. NO ASST YR WTA BEFORE TRIBUNAL WTA BEFORE HONBLE HIGH COURT 1. 1985 - 86 80/DEL/2005 13/2006 2. 1996 - 87 81/DEL/2005 15/2006 3. 1987 - 88 82/DEL/2005 16/2006 4. 1987 - 88 74/DEL/2005 18/2006 5. 1988 - 89 75/DEL/2005 14/2006 6. 1988 - 89 83/DEL/2005 17/2006 ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 12 4 .2 . IT IS OBSERVED THAT HONBLE DELHI HIGH COURT IN ITS DIRECTION RECORDED THAT LD. CIT (A) HAS NOT GIVEN ANY FINDING ON MERITS IN ANY OF THE ORDERS (INCOME TAX AS WELL AS WEALTH TAX) PASSED FOR ASSESSMENT YEARS UNDER CONSIDERATION. 5 . WE HAVE PERUSED RECO RDS PLACED BEFORE US AND OBSERVED THAT GROUNDS OF APPEAL TAKEN BY BOTH REVENUE AS WELL AS ASSESSEE BEFORE THIS TRIBUNAL DO NOT CHALLENGE ANY FINDING ON MERITS OF THE CASE. THAT BEING SO , IN OUR CONSIDERED OPINION IT IS FIT AND PROPER THAT PRESENT APPEALS BE RESTORED TO THE FILE OF LD.CIT (A)/CWT (A) TO BE HEARD AND DECIDED IN THE LIGHT OF DIRECTIONS OF HONBLE HIGH COURT ON MERITS. 5 .1. NEEDLESS TO SAY THAT LD.CIT (A) IS DIRECTED TO PASS DETAILED ORDER ON MERITS BY GIVING PROPER OPPORTUNITY TO ASSESSEE AS PER LAW ON DISALLOWANCES MADE BY LD.AO IN INCOME TAX AS WELL AS WEALTH TAX APPEALS. ASSESSEE SHALL FILE ALL REQUISITE DETAILS AS REQUIRED BY LD.CIT (A) FOR DISPOSING OF APPEALS ON MERITS IN INCOME TAX AS WELL AS WEALTH TAX APPEALS. 6 . AS REGARDS APPEAL S FILED BY ASSESSEE, AS CHALLENGE THEREIN WAS REGARDING DIRECTION OF LD.CIT (A), SETTING ASIDE APPEALS TO LD.AO. WE ARE INCLINED TO ALLOW APPEALS FILED BY REVENUE DIRECTING LD.CIT (A) TO ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 13 HEAR APPEALS ON MERITS, THESE APPEALS BECOME NON EST AS THE ISSUE OF JURISDICTION ASSUMED BY LD.AO U/S 148 AND SEC.16 OF INCOME TAX AS WELL AS WEALTH TAX ACT HAS BEEN UPHELD BY HONBLE HIGH COURT (SUPRA). 7 . WITH AFORESTATED OBSERVATIONS/DIRECTIONS, WE ALLOW APPEALS FILED BY REVENUE ON STATISTICAL PURPOSES. 8 . IN THE RE SULT THE APPEALS FILED BY REVENUE STANDS ALLOWED FOR STATISTICAL PURPOSES , AND TH E APPEALS FILED BY ASSESSEE IN I NCOME T AX AS WELL AS W EALTH T AX BECOME NON EST AND ARE DISMISSED. ORDER PRONOUNCED IN THE OPEN COURT ON 1 3 /03/2019. S D / - S D / - (N.S. SAINI) (BEENA A PILLAI) ACCOUNTANT MEMBER JUDICIAL MEMBER DT. 1 3 T H MARCH, 2019 GMV ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 14 COPY FORWARDED TO: - 1. APPELLANT 2. RESPONDENT 3. CIT 4. CIT(A) 5. DR, ITAT - TRUE COPY - BY ORDER, ASSISTANT REGISTRAR ITAT DELHI BENCHES ITA NOS. 2755/DEL/1993 AND GROUP AY:1985 - 8 6 TO 1987 - 88 SH. SS AHLUWALIA WTA NOS.74/DEL/2005 & GROUP A.Y. 1986 - 87 TO 1988 - 89 SH. SS AHLUWALIA 15 DATE DRAFT DICTATED ON 12 /03/2019 13/03/19 DRAFT PLACED BEFORE AUTHOR 12 /03/19 13/03/19 DRAFT PROPOSED & PLACED BEFORE THE SECOND MEMBER DRAFT DISCUSSED/APPROVED BY SECOND MEMBER. APPROVED DRAFT COMES TO THE SR.PS/PS KEPT FOR PRONOUNCEMENT ON & ORDER UPLOADED ON : 1 3 / 0 3 / 2 0 1 9 FILE SENT TO THE BENCH CLERK DATE ON WHICH FILE GOES TO THE AR DATE ON WHICH FILE GOES TO THE HEAD CLERK. DATE OF DISPATCH OF ORDER.