IN THE INCOME TAX APPELLATE TRIBUNAL DELHI BENCH F, NEW DELHI BEFORE SHRI H.S. SIDHU, JUDICIAL MEMBER & SHRI J.S. REDDY, ACCOUNTANT MEMBER ITA NO. 3092/DEL/2013 ASSESSMENT YEAR: 2008-09 PRADEEP KUMAR, VS. CIT, 32, OLD MOHAN PURI, MEERUT. MEERUT. ADTPK5349N (APPELLANT) (RESPONDENT) APPELLANT BY : NONE RESPONDENT BY : SH. SHAMEER SHARMA, SR. D R ORDER PER H.S. SIDHU, J.M. THE REVENUE HAS FILED THE PRESENT APPEAL AGAINST THE IMPUGNED ORDER DATED 21.03.2013 PASSED BY THE COMMISSIONER O F INCOME TAX, MEERUT FOR A.Y. 2008-09. 2. NOTICE BY RPAD ISSUED TO THE ASSESSEE FOR TODAY I.E. ON 21/10/2014. IN RESPONSE TO THE SAME SHRI VINOD KU MAR GOEL, ADVOCATE FILED AN APPLICATION DATED 02/10/2014. THE CONTENT ION OF THE SAME IS REPRODUCED AS UNDER: BEFORE THE INCOME TAX APPELLATE TRIBUNAL, FBENCH, NEW DELHI PAN : ADTPK5349N REG. : SH. PRADEEP KUMAR VS. CIT S/O LT. SH. SOM DUTT MEERUT 32, OLD MOHAN PURI, MEERUT REF: APPEAL IN ITA NO. 3092/DEL/2013 FOR THE A.Y. 2008-09, FIXING THE DATE OF HEARING ON 21/10/2014 HONBLE SIR, ITA NO. 3092/D/2013 PRADEEP KUMAR 2 IT IS SUBMITTED THAT IN THE ABOVE CASE, THE ASSESS EE HAS FILED AN APPEAL AGAINST THE ORDER U/S 263 IN WHICH, THE CASE WAS SE T ASIDE FOR LIMITED ISSUE. NOW, THE CASE WAS FIXED BY ACIT, CIRCLE-2, MEERUT W HO DECIDED THE CASE IN FAVOUR OF THE ASSESSEE, A COPY OF THE SAME IS BEING ENCLOSED HEREWITH. HENCE, THE ASSESSEE WITHDRAW THE APPEAL AND REQUES T YOUR HONOUR TO KINDLY DO THE NEEDFUL AND OBLIGE. SUBMITTED YOURS FAITHFULLY DATED: 02/10/2014 SD/- (COUNSEL FOR THE ASSESSEE) 3. KEEPING IN VIEW OF THE AFORESAID APPLICATION FIL ED BY THE LD. COUNSEL FOR THE ASSESSEE THE PRESENT APPEAL IS DISM ISSED AS WITHDRAWN. 4. IN THE RESULT, THE APPEAL FILED BY THE ASSESSEE IS DISMISSED. THE ORDER IS PRONOUNCED IN THE OPEN COURT ON 21/10/2014 SD/- SD/- (J.S. REDDY) (H.S. SIDHU) ACCOUNTANT MEMBER JUDICIAL MEMBER DATED: 21/10/2014 *KAVITA, P.S. COPY FORWARDED TO: - 1. APPELLANT 2. RESPONDENT 3. CIT 4. CIT(A) 5. DR, ITAT TRUE COPY BY ORDER, ASSISTANT REGISTRAR ITA NO. 3092/D/2013 PRADEEP KUMAR 3