IN THE INCOME TAX APPELLATE TRIBUNAL B BENCH, MUMBAI BEFORE SHRI RAJESH KUMAR , AM AND SHRI AMARJIT SINGH, JM / I .T.A. NO. 4203 /MUM/20 1 7 ( / ASSESSMENT YEAR: 2007 - 08 ) INCOME TAX OFFICER - 12(1)(3) ROOM NO. 145A, 1 ST FLOO R, AAYAKAR BHAVAN, M. K. ROAD, MUMBAI - 400020. / VS. M/S. BALAJI TEXTILE MILLS PVT. LTD A - 601, KENT RESIDENCY, CHANDAVARKAR EX TENSION ROAD, BORIVALI (W), MUMBAI - 400092 . ./ ./ PAN/GIR NO. : AACC B7849P ( / APPELLANT ) .. ( / RESPONDENT ) / DATE OF HEARING : 21 / 0 9 / 20 20 / DATE OF PRONOU NCEMENT : 28 /10 / 2020 / O R D E R PER AMARJIT SINGH, J M: THE REVENUE HAS FILED THE PRESENT APPEAL AGAINST THE ORDER DATED 31 .0 3 .201 7 PASSED BY THE COMMISSIONER OF INCOME TAX (APPEALS) - 20 , MUMBAI [HEREINAFTE R REFERRED TO AS THE CIT(A)] R ELEVANT TO THE A.Y. 20047 - 08. 2 . THE LD. REPRESENTATIVE OF THE ASSESSEE HAS ARGUED THAT THE TAX EFFECT OF QUANTUM ORDER UNDER DISPUTE IS LESS THAN MONETARY LIMIT OF RS. 50 LACS AS PRESCRIBED BY CENTRAL BOARD OF DIRECT TAXES (CBDT) IN ITS RECENTLY ISSUED CI RCULAR NO. 17/2019 DATED 08.08.2019 (F. NO.279/MISC.142/2007 - TTJ(PT.) GOVERNMENT OF INDIA, MINISTRY OF REVENUE BY : MS. KAVITA P. KAUSIK (SR. DR) ASSESSEE BY: SHRI HERO RAI ITA. NO. 4203 /M/201 7 A.Y. 20 07 - 08 2 FINANCE, DEPARTMENT OF REVENUE) , THEREFORE, THE PRESENT APPEAL IS NOT MAINTAINABLE. ON THE OTHER HAND, THE LD. REPRESENTATIVE OF THE DEPARTMENT HAS REFUT ED THE SAID CONTENTIONS AND ARGUED THAT THE ISSUE IN DISPUTE IS UNDER EXCEPTION IN VIEW OF THE CBDT CIRCULAR NO. 23 OF 2019 DATED 06.09.2019 READ WITH OFF ICE MEMORANDUM DATED 16.09.2019. T HEREFORE, THE APPEAL IS NOT LIABLE IN VIEW OF THE CIRCULAR DATED 08. 08.2019. THE LD. REPRESENTATIVE OF THE ASSESSEE HAS ALSO RELIED UPON THE DECISION OF THE HONBLE ITAT BEARING 6003/M/2017 DATED 28.11.2019. 3. WE HAVE HEARD THE ARGUMENTS ADVANCED BY THE LD. REPRESENTATIVE OF THE PARTIES AND PERUSED THE RECORD. WE FIND TH AT THE ISSUE HAS BEEN COVERED BY THE DECISION OF HONBLE ITAT BEARING ITA. NO.6003/M/2017 DATED 28.11.2019. THE R ELEVANT FINDING IS HEREBY REPRODUCED AS UNDER.: - 4. UPON PERUSAL OF CASE RECORDS, PRIMA FACIE, IT APPEARS THAT THE TAX EFFECT BEING CONTESTED BY THE REVENUE IS LESS THAN PRESCRIBED LIMIT OF RS.50 LACS AND THE SAME IS COVERED BY RECENTLY ISSUED LOW TAX EFFECT CIRCULAR NO.17/2019 DATED 08/08/2019 ISSUED BY CENTRAL BOARD OF DIRECT TAXES [CBDT]. THIS RECENT CIRCULAR FURTHER ENHANCES THE MONETARY LIM IT FIXED IN EARLIER CIRCULAR NO.3 OF 2018 DATED 11/07/2018 ISSUED BY CBDT AS AMENDED ON 20/08/2018. UNDISPUTEDLY, THE FACTUAL MATRIX IS NOT COVERED BY ANY OF THE EXCEPTIONS AS PROVIDED IN PARA - 10 OF CIRCULAR NO. 3 OF 2018 DATED 11/07/2018. SO FAR AS THE EX CEPTIONS AS PROVIDED IN SUBSEQUENT CBDT CIRCULAR NO. 23 OF 2019 DATED 06/09/2019 READ WITH OFFICE MEMORANDUM DATED 16/09/2019 IS CONCERNED, UPON PERUSAL OF THE SAME, WE FIND THAT THE SAME APPLIES ONLY TO CASES INVOLVING BOGUS LONG TERM CAPITAL GAINS (LTCG) / SHORT TERM CAPITAL LOSS (STCL) THROUGH PENNY STOCKS AND NOT APPLICABLE TO THE CASES OF UNEXPLAINED SHARE APPLICATION MONEY. 5. WE HAVE GONE THROUGH THE CIRCULAR AND FIND THAT THE TAX EFFECT IN DISPUTE IS BELOW PRESCRIBED LIMIT OF RS.50 LACS AND THE ASS ESSEE STOOD ITA. NO. 4203 /M/201 7 A.Y. 20 07 - 08 3 BENEFITTED BY THE ABOVE CIRCULAR ISSUED BY CBDT WHEREIN THE MINIMUM MONETARY LIMIT FOR FILING THE APPEALS BEFORE VARIOUS APPELLATE AUTHORITIES HAVE BEEN FIXED AS UNDER: - SR. NO. APPEALS/ SLPS IN INCOME - TAX MATTERS MONETARY LIMIT (RS.) 1 BEFO RE APPELLATE TRIBUNAL 50.00,000 50.00,000 2 2 BEFORE HIGH COURT 1,00.00,000 1,00.00,000 3 BEFORE SUPREME COURT 2,00.00,000 2,00.00,000 THE AFORESAID LIMITS, AS PER PARA 13 OF THE CIRCULAR NO. 3 OF 2018 DATED 11/07/2018, APPLIES TO PENDING APPEALS ALSO. IN VIEW OF THE ADMITTED POSITION, WE DISMISS THE REVENUES APPEAL. 6. AT THE SAME TIME, A LIBERTY IS GIVEN TO REVENUE TO SEEK RECALL OF THE APPEAL, IF AT A LATER STAGE, IT IS FOUND THAT THE MATTER IS COVERED BY ANY EXCEPTIONS PROVIDED IN ANY OF THE CIRCULA R OR IN CASE THE TAX EFFECT AS AGITATED BY REVENUE EXCEEDS THE PRESCRIBED MONETARY LIMIT. 4. SINCE THE ISSUE HAS DULY BEEN COVERED BY ABOVE SAID DECISION , THEREFORE, THE APPEAL STANDS DISMISSED. 5 . IN THE RESULT, THE APPEAL FILED BY THE REVENUE IS HEREBY D ISMISSED. ORDER PRONOUNCED IN THE OPEN COURT ON 28 / 10 /2020 SD/ - SD / - / - ( RAJESH KUMAR ) (AMARJIT SINGH) / ACCOUNTANT MEMBER /JUDICIAL MEMBER MUMBAI; DATED : 28 / 10 /2020 V IJAY PAL SING/SR. PS ITA. NO. 4203 /M/201 7 A.Y. 20 07 - 08 4 / COPY OF THE ORDER FORWARDED TO : 1. / THE APPELLANT 2. / THE RESPONDENT. 3. ( ) / THE CIT(A) - 4. / CIT 5. , , / DR, ITAT, MUMBAI 6. / GUARD FILE. / BY ORDER, //TRUE COPY// / /(DY./ASSTT. REGISTRAR) , / ITAT, MUMBAI