, LH LHLH LH IN THE INCOME TAX APPELLATE TRIBUNAL C BENCH, AHMEDABAD LOZJH LOZJH LOZJH LOZJH OLHE VGEN OLHE VGEN OLHE VGEN OLHE VGEN] YS[KK LNL; ,OA ] YS[KK LNL; ,OA ] YS[KK LNL; ,OA ] YS[KK LNL; ,OA EK/KQFERK JKW; EK/KQFERK JKW; EK/KQFERK JKW; EK/KQFERK JKW;] U;KF;D LNL ] U;KF;D LNL ] U;KF;D LNL ] U;KF;D LNL; DS LE{KA ; DS LE{KA ; DS LE{KA ; DS LE{KA BEFORE SHRI WASEEM AHMED, ACCOUNTANT MEMBER AND SMT MADHUMITA ROY, JUDICIAL MEMBER ./ I.T.A. NO.674/AHD/2017 ( / ASSESSMENT YEAR : 2012-13) SCI INTERNATIONAL SECURITIES LTD., 501, WINDSOR PLAZA, R C DUTT ROAD, ALKAPURI, BARODA 390 007 / VS. ITO, WARD 4(1)(3), BARODA. ./ ./ PAN/GIR NO. : AAECS 2303 F ( / APPELLANT ) .. ( / RESPONDENT ) / APPELLANT BY : --NONE-- / RESPONDENT BY : SHRI PRASOON KABRA, SR.D.R. / DATE OF HEARING 05/07/2018 !'# / DATE OF PRONOUNCEMENT 13/07/2018 $% / O R D E R PER WASEEM AHMED, ACCOUNTANT MEMBER: THE CAPTIONED APPEAL HAS BEEN FILED AT THE INSTANCE OF THE ASSESSEE AGAINST THE APPELLATE ORDER OF THE COMMISSIONER OF INCOME TAX(APPEALS)-7, AHMEDABAD [CIT(A) IN SHORT] VIDE APPEAL NO.CIT(A)- 7/215/14-15 DATED 28.12.2016 ARISING IN THE ASSESSMENT ORDER PASSED UNDER S.143(3) OF THE INCOME TAX ACT, 1961 (HEREINA FTER REFERRED TO AS 'THE ACT') DATED 03.03.2015 RELEVANT TO ASSESSMENT YEAR (AY) 2012-13. ITA NO.674/AHD/2017 SCI INTERNATIONAL SEC URITIES LTD VS. ITO ASST.YEAR 2012-13 - 2 - 2. THE GROUNDS OF APPEAL RAISED BY THE ASSESSEE ARE AS UNDER:- 1. THE LEARNED COMMISSIONER OF INCOME TAX (APP EALS) HAS ERRED IN LAW AND ON FACTS OF THE APPELLANT'S CASE IN UPH OLDING THE ACTION OF THE LD. AO OF DISALLOWING RS. 22,41, 199/- BEING EMPLOYEES' CONTRIBUTION TO PROVIDENT FUND ON THE ER RONEOUS PLEA THAT IT IS DISALLOWABLE. BOTH THE LOWER AUTHORITIES HAVE ERRED IN LAW AND ON THE FACTS OF THE APPELLANT'S CASE IN NOT APPRECIATING THE FACT T HAT HAVING PAID THE CONTRIBUTION BEFORE THE DUE DATE OF FILING THE RETURN, NO PART OF THE SAME IS DISALLOWABLE. 2. THE LEVY OF INTEREST U/S 234A/B/C OF THE ACT IS NOT JUSTIFIED. 3. THE APPELLANT CRAVES LEAVE TO ADD, TO ALTER A ND/OR AMEND THE GROUNDS HEREINABOVE TAKEN. 3. THE SOLITARY ISSUE RAISED BY ASSESSEE IS THAT LD . CIT(A) ERRED IN CONFIRMING THE DISALLOWANCE OF RS. 22,41,199/- ON A CCOUNT OF DELAYED PAYMENT OF EMPLOYEES CONTRIBUTION TOWARDS PF AND ES IC UNDER SECTION 36(1)(VA) R.W.S. 2(24)(X) OF THE ACT. 4. BRIEFLY STATED FACTS ARE THAT THE ASSESSEE IS A PRIVATE LIMITED COMPANY AND ENGAGED IN THE BUSINESS OF PROVIDING SE RVICES OF SECURITY PERSONNEL FOR INDUSTRIAL SECURITY & SAFETY. THE AO DURING THE ASSESSMENT PROCEEDINGS OBSERVED THAT THE ASSESSEE HAS DEPOSITE D EMPLOYEES CONTRIBUTION TOWARDS PF AND ESIC AMOUNTING TO RS. 2 2,41,199/- AFTER THE DUE DATE AS SPECIFIED UNDER THE RELEVANT ACT. THERE FORE, THE AO DISALLOWED THE SAME AND ADDED TO THE TOTAL INCOME O F THE ASSESSEE. 5. AGGRIEVED, ASSESSEE PREFERRED AN APPEAL TO LD. C IT(A) WHO HAS CONFIRMED THE ORDER OF AO. ITA NO.674/AHD/2017 SCI INTERNATIONAL SEC URITIES LTD VS. ITO ASST.YEAR 2012-13 - 3 - BEING AGGRIEVED BY THE ORDER OF LD. CIT(A), ASSESSE E IS IN SECOND APPEAL BEFORE US. 6. THE LD. AR BEFORE US CONCEDED THE FACT THAT THE ISSUE FOR LATE DEPOSITS OF EMPLOYEES CONTRIBUTION TOWARDS PF AND ESIC HAS BEEN DECIDED AGAINST THE ASSESSEE BY THE JURISDICTIONAL HIGH COURT IN THE CASE OF CIT VS. GSRTC REPORTED IN 265 CTR 64. ON THE CONTRARY, THE LD. DR VEHEMENTLY SUPPORTED TH E ORDER OF AUTHORITIES BELOW. 7. WE HAVE HEARD THE RIVAL CONTENTIONS AND PERUSED THE MATERIALS AVAILABLE ON RECORD. AT THE OUTSET, IT WAS OBSERVED THAT THE ISSUE FOR DELAYED DEPOSITS OF EMPLOYEES CONTRIBUTION TOWARDS PF AND ESIC HAS BEEN DECIDED AGAINST THE ASSESSEE BY THE HONBLE JU RISDICTIONAL HIGH COURT IN THE CASE OF GSRTC (SUPRA). THE RELEVANT EX TRACT OF THE ORDER IS REPRODUCED BELOW: IN VIEW OF THE ABOVE AND CONSIDERING SECTION 36(1) (VA), READ WITH SUB- CLAUSE (X) OF CLAUSE (24) OF SECTION 2, IT IS TO BE HELD THAT WITH RESPECT TO THE SUM RECEIVED BY THE ASSESSEE FROM ANY OF HIS EM PLOYEES TO WHICH PROVISIONS OF SUB-CLAUSE (X) OF CLAUSE (24) OF SECT ION 2 APPLIES, THE ASSESSEE SHALL BE ENTITLED TO DEDUCTION IN COMPUTIN G THE INCOME REFERRED TO IN SECTION 28 WITH RESPECT TO SUCH SUM CREDITED BY THE ASSESSEE TO THE EMPLOYEES ACCOUNT IN THE RELEVANT FUND OR FUNDS ON OR BEFORE THE 'DUE DATE' MENTIONED IN EXPLANATION TO SECTION 36(1)(VA) . CONSEQUENTLY, IT IS HELD THAT THE TRIBUNAL HAS ERRED IN DELETING RESPEC TIVE DISALLOWANCES BEING EMPLOYEES' CONTRIBUTION TO PF ACCOUNT/ESI ACC OUNT MADE BY THE ASSESSING OFFICER AS, AS SUCH, SUCH SUMS WERE NOT C REDITED BY THE RESPECTIVE ASSESSEE TO THE EMPLOYEES 'ACCOUNTS IN T HE RELEVANT FUND OR FUNDS ON OR BEFORE THE DUE DATE AS PER THE EXPLANAT ION TO SECTION 36(1)(VA) OF THE ACT I.E. DATE BY WHICH THE CONCERN ED ASSESSEE WAS REQUIRED AS AN EMPLOYER TO CREDIT EMPLOYEES' CONTRI BUTION TO THE ITA NO.674/AHD/2017 SCI INTERNATIONAL SEC URITIES LTD VS. ITO ASST.YEAR 2012-13 - 4 - EMPLOYEES ACCOUNT IN THE PROVIDENT FUND UNDER THE P ROVIDENT FUND ACT AND/OR IN THE ESI FUND UNDER THE ESI ACT. RESPECTFULLY FOLLOWING THE ABOVE JUDGMENT LAID DOWN BY THE JURISDICTIONAL HIGH COURT, WE FIND NO INFIRMITY IN THE ORDER OF LD. CIT(A). HENCE, THE GROUND OF APPEAL OF THE ASSESSEE IS DISMISSED. 8. THE GROUND NO. 2 RAISED BY THE ASSESSEE AGAINST THE CHARGING OF INTEREST UNDER SECTION 234A/B/C OF THE ACT IS CONSE QUENTIAL AND DOES NOT REQUIRE ANY SEPARATE ADJUDICATION. THEREFORE THE SA ME IS DISMISSED. 9. IN THE RESULT, APPEAL FILED BY THE ASSESSEE IS D ISMISSED. THIS ORDER PRONOUNCED IN OPEN COURT ON 13/07/2018 SD/- SD/- E/KQFERK E/KQFERK E/KQFERK E/KQFERK JKW; JKW;JKW; JKW; OLHE VGEN OLHE VGEN OLHE VGEN OLHE VGEN U;KF;D LNL; U;KF;D LNL; U;KF;D LNL; U;KF;D LNL; YKS[KK LN YKS[KK LN YKS[KK LN YKS[KK LN L; L; L; L; (MADHUMITA ROY) (WASEEM AHMED) JUDICIAL MEMBER ACCOUNTANT MEMBER AHMEDABAD; DATED 13/07/2018 PRITI YADAV, SR.PS !'# $#! / COPY OF THE ORDER FORWARDED TO : 1. / THE APPELLANT 2. / THE RESPONDENT. 3. & '( ) / CONCERNED CIT 4. ) () / THE CIT(A)-7, AHMEDABAD. 5. ,-. //'( , '(# , 12$&$ / DR, ITAT, AHMEDABAD 6. .34 5 / GUARD FILE. % & / BY ORDER, , / //TRUE COPY// '/& () ( DY./ASSTT.REGISTRAR) , / ITAT, AHMEDABAD