IN THE INCOME TAX APPELLATE TRIBUNAL B BENCH, AHMEDABAD ( CONVENED THROUGH VIRTUAL COURT ) BEFORE SHRI MAHAVIR PRASAD, JUDICIAL MEMBER & SHRI AMARJIT SINGH, ACCOUNTANT MEMBER S.NO APPEAL A.Y. APPELLANT (PAN NO.) RESPONDENT A.R. 1-2 IT(SS) A NO. 155 & 156/AHD/2015 2006-07 & 2007- 08 SMT. SUCHITRA S. DHANANI (ACTPD1159Q) ACIT, CENTRAL CIRCLE -1(2), BARODA SHRI D. K. PARIKH 3-4 ITA NOS. 2346 & 2347/ AHD/2017 2006-07 & 2007- 08 SMT. SUCHITRA S. DHANANI (ACTPD1159Q) ACIT, CENTRAL CIRCLE - 1(1)(2), VADODARA SHRI D. K. PARIKH 5-6 ITA NO. 1613/AHD/201 7 & C.O. NO. 45/AHD/2018 2013-14 ACIT, CIRCLE-3(3), AHMEDABAD & M/S. NCPL BUILDCON, (AAHFN9362R) M/S. NCPL BUILDCON, (AAHFN9362 R ) & ACIT, CIRCLE- 3(3), AHD. MS. URVASHI SHODHAN 7 ITA NO. 875/AHD/2017 2011-12 DCIT, CIRCLE-3(3), AHMEDABAD M/S. NCPL BUILDCON, (AAHFN9362 R MS. URVASHI SHODHAN REVENUE BY : SHRI VINOD TANWANI, CIT/D.R. & SHRI R. R. MAKWANA, SR. D.R. / DATE OF HEARING 09/02/2021 / DATE OF PRONOUNCEMENT 11 /02/2021 / O R D E R PER BENCH THESE SEVEN APPEALS FILED BY DIFFERENT ASSESSEES EXCEPT ITA NO. 1613 & 875/AHD/2017FILED BY REVENUE AND C.O. NO. 45/AHD/2018 (IN ITA NO. IT(SS)A NO. 155/AHD/15 & ORS. - 2 - 1613/AHD/2017), ARISE FROM ORDER OF THE CIT(A), IN PROCEEDINGS UNDER INCOME TAX ACT, 1961; IN SHORT 'THE ACT'. 2. THE ASSESSEES FILED WRITTEN SUBMISSIONS TO WITHDRAW THE APPEALS ON THE GROUND THAT THEY HAVE OPTED TO AVAIL BENEFITS OF VIVAD SE VISHWAS SCHEME, 2020 AND IN THEIR SUBMISSIONS THE ASSESSEEES HAVE ALSO ENCLOSED THE COPIES FORM NO. -3 ISSUED BY THE PR. CIT OF INCOME TAX FOR APPROVING THE APPLICATIONS FILED BY THE ASSESSEES UNDER THE VIVAD SE VISHWAS SCHEME, 2020. WHEN THE MATTER WAS CALLED FOR HEARING, THE ID. COUNSELS FOR THE ASSESSEES AT THE OUTSET HAVE SUBMITTED THAT THEY DO NOT WANT TO PURSUE THE SAID APPEALS SINCE THEIR APPLICATIONS UNDER VIVAD SE VISHWAS SCHEME, 2020 HAVE BEEN APPROVED BY THE INCOME TAX DEPARTMENT AND REQUESTED THAT THEIR APPLICATIONS FOR WITHDRAWAL OF APPEALS MAY PLEASE BE GRANTED. 3. THE LD. DEPARTMENTAL REPRESENTATIVE FOR THE REVENUE STATED THAT HE HAS NO OBJECTION TO WITHDRAW THE APPEALS IN THE CIRCUMSTANCES NARRATED ON BEHALF OF THE ASSESSEES. 4. WE HAVE CONSIDERED THE SUBMISSIONS AND APPLICATIONS OF THE ASSESSEES FOR WITHDRAWAL OF THE APPEALS AS THEIR APPLICATIONS HAVE BEEN APPROVED UNDER VIVAD SE VISHWAS SCHEME, 2020. A REFERENCE HAS BEEN MADE IN SUB-SECTION (2) & (3) OF SECTION 4 OF DIRECT TAX VIVAD SE VISHWAS SCHEME, 2020 FOR THE PURPOSE OF WITHDRAWAL OF APPEAL. IN THE LIGHT OF THE PROVISION MADE IN THE SCHEME AND AFTER CONSIDERING THE MATERIAL ON RECORD, THE AFORESAID REQUESTS FOR WITHDRAWAL OF APPEALS OF THE ASSESSEES TO AVAIL THE VSV SCHEME, 2020 IN ACCORDANCE WITH LAW IS ALLOWED. HOWEVER, IN CASE, ANY ISSUE IS REMAINED UN- RESOLVED UNDER THE SAID SCHEME, THEN, THE ASSESSEES WILL BE AT LIBERTY TO FILE THE MISCELLANEOUS APPLICATIONS TO RECALL THIS ORDER TO RESTORE THE ORIGINAL APPEALS WITHIN THE TIME LIMIT PROVIDED IN THE ACT. IT(SS)A NO. 155/AHD/15 & ORS. - 3 - 5. IN THE RESULT, ALL THE SEVEN APPEALS ARE DISMISSED AS WITHDRAWN. SD/- SD/- (AMARJIT SINGH) (MAHAVIR PRASAD) ACCOUNTANT MEMBER TRUE COPY JUDICIAL MEMBER AHMEDABAD: DATED 11/02/2021 RAJESH KUMAR / COPY OF ORDER FORWARDED TO:- 1. / REVENUE 2. / ASSESSEE 3. / CONCERNED CIT 4. - / CIT (A) 5. , , / DR, ITAT, AHMEDABAD 6. [ / GUARD FILE. BY ORDER / , / , THIS ORDER PRONOUNCED ON 11/02/2021