ITA No. 907/DEL/2020 involves Intertouch Office Systems, challenging tax assessments made by ACIT, Circle-54(1), New Delhi for the assessment year 2015-16. This case provides insights into the procedural aspects of tax disputes and the use of settlement schemes like Vivad Se Vishwas.
The dispute pertains to tax assessments for the fiscal year 2015-16, with the appellant seeking a resolution through the Vivad Se Vishwas Scheme, indicating a shift from conventional litigation to alternative dispute resolution mechanisms.
The case was heard virtually, reflecting modern judicial adaptations to technology. The appellant, unable to present at the hearing, submitted a withdrawal request via email, choosing to settle under the Vivad Se Vishwas Scheme. This decision underscores the scheme’s role in reducing litigation and facilitating amicable resolutions.
The tribunal accepted the withdrawal and the settlement under the scheme, with no objections from the senior departmental representative. This outcome highlights the effective use of the Vivad Se Vishwas Scheme in resolving disputes and reducing pending cases.
This case is a notable example of how tax disputes can be efficiently resolved through government schemes designed to minimize litigation and promote compliance. It also illustrates the evolving nature of judicial proceedings, with increasing reliance on digital platforms for hearings.
ITA 907/DEL/2020: Intertouch Office Systems vs. ACIT, Circle-54(1), New Delhi
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