IN THE INCOME TAX APPELLATE TRIBUNAL S.M.C. C BENCH: BANGALORE BEFORE SHRI GEORGE GEORGE K , JUDICIAL MEMBER ITA NO S . 301 & 336 /BANG/20 20 (ASSESSMENT YEAR S : 2 0 13 - 14 & 2014 - 15 ) M/S. KPTC & HESCOM EMPLOYEES CREDIT CO - OPERATIVE SOCIETY LTD., REGL. OFFICE, POWER HOUSE COMPOUND, TABIB LAND, HUBLI - 580 020 .APPELLANT . PAN AABAK 4107G VS. I NCOME TAX OFFICER , WARD 1(4) , HUBLI. RESPONDENT. ASSESSEE BY: SUNAINA T H M , ADVOCATE. REVENUE BY: SHRI GANESH R GHALE, STANDING COUNSEL FOR DEPARTMENT. DATE OF HEARING : 19 .01 .20 2 1 . DATE OF PRONOUNCEMENT : 19 .01. 2 021 . O R D E R THE SE APPEALS AT THE IN STANCE OF THE ASSESSEE ARE DIRECTED AGAINST DIFFERENT ORDER S OF C OMMISSIONER OF INCOME TAX (APPEALS), HUBBALLI BOTH DT. 06.12.2019 . SINCE COMMON ISSUE IS INVOLVED IN THESE APPEALS, THEY ARE HEARD TOGETHER AND CONSOLIDATED ORDER IS PASSED FOR THE SAKE OF CO NVENIENCE. THE RELEVANT ASSESSMENT YEARS ARE 2013 - 14 & 2014 - 15 . 2 ITA NO S . 301 & 336/BANG/2020 2. AT THE TIME OF HEARING, THE LEARNED AUTHORISED REPRESENTATIVE SUBMITTED THAT THE ASSESSEE HAS OPTED TO FILE AN APPLICATION UNDER THE VIVAD SE VISHWAS ACT, 2020. ACCORDINGLY, LD. AR SUBMITTED THAT THESE APPEALS MAY BE DISMISSED WITH THE LIBERTY TO MOVE APPROPRIATE APPLICATION FOR RECALL OF THE PRESENT ORDER IN ACCORDANCE WITH LAW, IF THE ASSESSES INTENDED TO DO SO. 3. ON THE OTHER HAND, THE LEARNED DEPARTMENTAL REPRESENTATIVE S UBMITTED THAT THE ASSESSEE HAS TO WITHDRAW THE PENDING APPEALS AFTER FILING THE FORM VSV1 AS PER VIVAD SE VISHWAS ACT, 2020. THEREAFTER THE ASSESSEE IS REQUIRED TO FURNISH A COPY OF THE SAME ALONG WITH THE PROOF OF PAYMENT OF TAX AS DETERMINED BY THE TAX OFFICIAL TO THE DEPARTMENT. LD. DR SUBMITTED THAT THE FORM NO.3 SHALL BE ISSUED TO THE ASSESSES IN DUE COURSE AND ACCORDINGLY HE SUBMITTED THAT THE APPEALS OF THE ASSESSEE MAY BE DISMISSED AS WITHDRAWN, AS THE ASSESSES, IN ANY WAY, IS REQUIRED TO WITHDR AW THE APPEALS. 4. I HAVE HEARD BOTH THE PARTIES AND PERUSED THE MATERIAL ON RECORD. SINCE THE ASSESSEE HAS OPTED FOR VIVAD SE VISHWAS ACT, 2020, THE ASSESSEE IS INTERESTED IN NOT PROSECUTING THESE APPEALS FILED BEFORE THE TRIBUNAL. SINCE THE ASSES SEE IS INTENDED TO FILE THE NECESSARY APPLICATIONS BEFORE THE TAX AUTHORITIES UNDER THE ABOVE SAID SCHEME, I AM OF THE VIEW THAT NO PURPOSE WILL BE SERVED IN KEEPING THE APPEALS PENDING. ACCORDINGLY, I DISMISS THE APPEALS OF THE ASSESSES AS WITHDRAWN. 3 ITA NO S . 301 & 336/BANG/2020 FU RTHER THE ASSESSEE IS AT LIBERTY TO MOVE APPROPRIATE APPLICATION FOR RECALL OF THE PRESENT ORDER IN ACCORDANCE WITH THE LAW, IF THE ASSESSES INTENDS TO DO SO. 5. IN THE RESULT, BOTH THE APPEAL S OF THE ASSESSEE ARE DISMISSED AS WITHDRAWN. PRONOUNCED IN THE OPEN COURT ON THE DATE MENTIONED ON THE CAPTION PAGE. SD/ - ( GEORGE GEORGE K ) JUDICIAL MEMBER DATED: 1 9 .01. 20 2 1 . *REDDY GP COPY TO 1. THE APPELLANT 2. THE RESPONDENT 3. CIT (A) 4. PR. CIT 5. DR, ITAT, BANGALORE. 6. GU ARD FILE BY ORDER ASSISTANT REGISTRAR INCOME - TAX APPELLATE TRIBUNAL BANGALORE