IN THE INCOME TAX APPELLATE TRIBUNAL RAJKOT BENCH , RAJKOT BEFORE SHRI S.V. MEHROTRA , ACCOUNTANT MEMBER AND SHRI K. NARASIMHA CHARY , MEMBER ITA NO. 609 / RJT /201 4 : ASS T. YEAR : 2009 - 10 DCIT, GANDHIDHAM CIRCLE, GANDHIDHAM, KUTCH (APPELLANT) VS M/S. SHIV SHIPPING SERVICES OFFICE NO. 101/102, RAJKAMAL ARCADE, PLOT NO. 353, WARD - 12/B, GANDHIDHAM, KUTCH (RESPONDENT) PAN : AAQFS5371J APPELLANT BY : SHRI AVINASH KUMAR, DR RESPONDENT BY : SHRI KALPESH DOSHI, CA DATE OF HEARING : 2 2 /0 3 /201 7 DATE OF PRONOUNCEMENT : 24 /0 3 /201 7 O R D E R PER K. NAR A SIMHA CHARY, MEMBER, JM : THIS APPEAL BY REVENUE IS ARISING OUT OF ORDER OF CIT(A) - II , RAJKOT VIDE APPEAL NO. CIT(A) - II/RJT/0100/13 - 14 DATED 8.8.2014 . ASSESSMENT WAS FRAMED BY ACIT , GANDHIDHAM CIRCLE, GANDHIDHAM U/S. 143(3) OF THE INCOME - TAX ACT, 1961 (HEREINAFTER REFERRED TO AS THE ACT) FOR AY 20 09 - 1 0 VIDE HIS ORDER DATED 14 . 11 .201 1 . 2. AT THE OUTSET, IT WAS POINTED OUT BY THE LD. AR THAT THE APPEAL IS HIT BY THE CBDT CIRCULAR NO. 21/2015 DATED 10.12.2015 AS THE QUANTUM INVOLVED IN THIS CASE IS RS. 14,79,120 / - AND TAX EFFECT ON THE DISPUTED ADDITION BEFORE US IS RS. 5,01,422 / - , WHICH IS LESS THAN RS. 10 LA CS. 2 ITA NO. 6 09 /RJT/201 4 M/S. SHIV SHIPPING SERVICES 3. AFTER PERUSING THE MATERIALS AVAILABLE ON RECORD, WE FIND THAT THE ADDITIONS DISPUTED BEFORE US IS BELOW THE TAX EFFECT LIMIT PRESCRIBED BY CBDT VIDE CIRCULAR NO. 21 / 2015 DATED 10.12.2015 FOR PREFERRING APPEALS BEFORE TRIBUNAL BY THE REVENUE. ON PERUSAL OF THE CIRCULAR NO. 21 / 2015 DATED 10.12.2015 AND THE MATERIALS AVAILABLE ON RECORD, LD. DR COULD NOT POINT OUT WHETHER THIS CASE FALLS UNDER ANY OF THE EXCEPTION AS PROVIDED IN THE CIRCULAR DESPITE SPECIFIC OPPORTUNITY WAS GIVEN, DOES NOT FALL UNDER ANY OF THE EXCEPTIONS CONTEMPLATED IN THE SAID CIRCULAR, AS THIS IS COVERED. WE ALSO FIND THAT THE CIRCULAR MAKES IT VERY CLEAR THAT THE REVISED MONETARY LIMITS SHALL APPLY RETROSPECTIVELY TO PENDING APPEALS ALSO. WE FIND THAT THE CIRCULAR IS BINDI NG ON THE TAX AUTHORITIES. THIS POSITION HAS BEEN CONFIRMED BY THE HONBLE APEX COURT IN THE CASE OF COMMISSIONER OF CUSTOMS VS INDIAN OIL CORPORATION LTD REPORTED IN 267 ITR 272 (SC). HENCE, WE HOLD THAT THE APPEAL OF THE REVENUE DESERVES TO BE DISMISSED IN TERMS OF LOW TAX EFFECT VIDE CIRCULAR NO.21 / 2015 DATED 10.12.2015. ACCORDINGLY, THIS BEING A LOW TAX EFFECT CASE, WE DISMISS THIS APPEAL OF REVENUE IN LIMINE , AS UNADMITTED, WITHOUT GOING INTO THE MERITS OF THE CASE. 4. IN THE RESULT, THE APPEAL O F THE REVENUE IS DISMISSED. ORDER PRONOUNCED IN THE OPEN COURT ON 2 4 T H MARCH, 2017. SD/ - SD/ - ( S.V. MEHROTRA ) ACCOUNTANT MEMBER ( K. NARASIMHA CHARY ) JUDICIAL MEMBER R A J K O T , DATE : 2 4 T H MARCH , 201 7 *SSL* 3 ITA NO. 6 09 /RJT/201 4 M/S. SHIV SHIPPING SERVICES COPY TO : 1) THE APPELLANT 2) THE RESPONDENT 3) THE CIT(A) CONCERNED 4) THE CIT CONCERNED 5) THE D.R, RAJKOT 6) GUARD FILE BY ORDER DY./ASSTT. REGISTRAR I.T.A.T, RAJKOT