VK;DJ VIHYH; VF/KDJ.K] T;IQJ U;K;IHB] T;IQJ T;IQJ U;K;IHB] T;IQJ T;IQJ U;K;IHB] T;IQJ T;IQJ U;K;IHB] T;IQJ IN THE INCOME TAX APPELLATE TRIBUNAL, JAIPUR BENCHES (SMC), JAIPUR JH JESK LH-'KEKZ] YS[KK LNL; DS LE{K BEFORE : SHRI RAMESH C.SHARMA, ACCOUNTA NT MEMBER VK;DJ VIHY LA-@ ITA NO. 806/JP/2019 FU/KZKJ.K O'K Z@ ASSESSMENT YEAR : 2008-09 THE ITO WARD- 3(2), JAIPUR CUKE VS. M/S. SAMRIDHI EXPORTS 54, SAMODIA BHAWAN, HATHI BABU KA BAGH, KANTI NAGAR, JAIPUR LFKK;H YS[KK LA-@THVKBZVKJ LA-@ PAN/GIR NO .: ABAFS 6711 K VIHYKFKHZ@ APPELLANT IZR;FKHZ@ RESPONDENT JKTLO DH VKSJ LS@ REVENUE BY: SHRI RAJENDER SINGH, ADDL. CIT-DR FU/KZKFJRH DH VKSJ LS@ ASSESSEE BY :SHRI R.K. JAIN ADVOCATE LQUOKBZ DH RKJH[K@ DATE OF HEARING : 31/07/2019 ?KKS'K .KK DH RKJH[K@ DATE OF PRONOUNCEMENT : 31 /07/2019 VKNS'K@ ORDER PER RAMESH C. SHARMA, AM THIS IS AN APPEAL FILED BY THE REVENUE AGAINST THE ORDER OF THE LD. CIT(A)-1, JAIPUR DATED 28-03-2019 FOR THE ASSESSM ENT YEAR 2008-09, IN THE MATTER OF ORDER PASSED U/S 147/ 143(3) OF THE I .T. ACT, 1961. 2.1 IN THIS APPEAL, THE TAX EFFECT IS BELOW THE LIM IT PRESCRIBED BY THE CBDT CIRCULAR NO. 03 OF 2018 DATED 20-08-2018. HOWE VER, IT WAS CONTENDED BY THE LD. DR THAT THE CASE IS COVERED BY EXCEPTIONAL CLAUSE ITA NO.806/JP/2019 ITO, WARD- 3(2), JAIPUR VS M/S. SAMRIDHI E XPORTS 2 10(E) OF THE CIRCULAR NO. 03 OF 2018. THE LD. DR HA S PLACED ON RECORD THE CIRCULAR DATED 20-08-2018 WHEREIN CLAUSE (E) READS AS UNDER (E) WHERE ADDITION IS BASED ON INFORMATION RECEIVED FROM EXTERNAL SOURCES IN THE NATURE OF LAW ENFORCEMENT AGENCIES SUCH AS CBI/ED/DRI/SFOI/ DIRECTORATE GENERAL OF GST INTELLIGENCE (DGGI). 2.2 RIVAL CONTENTIONS HAVE BEEN HEARD AND RECORD PE RUSED. I HAVE CAREFULLY GONE THROUGH CLAUSE (E) OF THE CBDT CIRCU LAR NO. 03/2018 WHICH PROVIDES THAT WHERE ADDITION IS BASED ON INFO RMATION RECEIVED FROM EXTERNAL SOURCES, THE DEPARTMENT IS TO FILE THE APP EAL EVEN IF THE TAX EFFECT IS BELOW THE PRESCRIBED LIMIT. HOWEVER, IN THIS CAS E, I FIND THAT IT WAS REOPENED ON THE BASIS OF AN INFORMATION OF DIRECTOR OF INVESTIGATION, INCOME TAX, WHICH IS NOT AN EXTERNAL SOURCE BUT IT WAS AN INTERNAL WING OF THE DEPARTMENT ITSELF. THUS AS PER MY CONSIDERED VI EW, IT IS NOT COVERED BY EXCEPTION AND SINCE THE TAX EFFECT IS LESS THAN RS. 20 LACS, THEREFORE, THE APPEAL OF THE REVENUE DESERVES TO BE DISMISSED. A N UMBER OF JUDGEMENTS, HOLDING THE ISSUE IN FAVOUR OF THE ASSESSEE ON CLAU SE 10(E) OF THE SAID CIRCULAR BY THE ITAT, MUMBAI BENCH ARE AS UNDER:- 1. ACIT VS MM CORPORATION (M.A. NO.24/MUM/2019 ARISING OUT OF ITA NO.20152/MUM/2018) PRONOUNCED ON 23-07- 2019. 2. ITO VS LATE AMARCHAND P SHAH, THRU L/H (ITA NO. 818-820/MUM/2017 PRONOUNCED ON 08-07-2019 ITA NO.806/JP/2019 ITO, WARD- 3(2), JAIPUR VS M/S. SAMRIDHI E XPORTS 3 FOLLOWING THE ABOVE JUDICIAL PRONOUNCEMENTS, I DO N OT FIND ANY MERIT IN THE APPEAL FILED BY THE REVENUE HAVING TAX EFFECT OF PRESCRIBED LIMIT OF LESS THAN RS. 20 LACS. THUS THE APPEAL OF THE REVE NUE IS DISMISSED. 3.0 IN THE RESULT, THE APPEAL OF THE REVENUE IS DIS MISSED. ORDER PRONOUNCED IN THE OPEN COURT ON 31 /07/20 19. SD/- JESK LH 'KEKZ (RAMESH C. SHARMA) YS[KK LNL;@ ACCOUNTANT MEMBER TK;IQJ@ JAIPUR FNUKAD@ DATED:- 31/07/ 2019 *MISHRA VKNS'K DH IZFRFYFI VXZSFKR@ COPY OF THE ORDER FORWARDED TO: 1. VIHYKFKHZ@ THE APPELLANT- ITO, WARD- 3(2), JAIPUR 2. IZR;FKHZ@ THE RESPONDENT- M/S. SAMRIDHI EXPORTS, JAIPUR 3. VK;DJ VK;QDRVIHY ) @ CIT(A), 4. VK;DJ VK;QDR@ CIT, 5. FOHKKXH; IZFRFUF/K] VK;DJ VIHYH; VF/KDJ.K] T;IQJ@ DR, ITAT, JAIPUR 6. XKMZ QKBZY@ GUARD FILE (ITA NO.806/JP/2019) VKNS'KKUQLKJ@ BY ORDER, LGK;D IATHDKJ@ ASSISTANT. REGISTRAR