Delhi High Court · 2025-05-09
M/S KJP AND ASSOCIATES vs DEPUTY.ASSTT.COMMISSIONER OF INCOME TAX
- Citation / case number
- W.P.(C)-11727/2023 2025:DHC:3751-DB
- Court
- Delhi High Court
- Petitioner
- M/S KJP AND ASSOCIATES
- Respondent
- DEPUTY.ASSTT.COMMISSIONER OF INCOME TAX
Judgment text excerpt
$~6 * IN THE HIGH COURT OF DELHI AT NEW DELHI % Date of Decision: 09.05.2025 + W.P.(C) 11727/2023 M/S KJP AND ASSOCIATES .....Petitioner Through: Mr Santanu Kanungo, Mr Sanjay Rohilla and Mr Sayantani, Advocates. versus DEPUTY. ASSTT. COMMISSIONER OF INCOME TAX .....Respondent Through: Mr Siddhartha Sinha, senior standing counsel. CORAM: HON'BLE MR. JUSTICE VIBHU BAKHRU HON'BLE MR. JUSTICE TEJAS KARIA VIBHU BAKHRU, J. (ORAL) 1. The petitioner has filed the present petition, inter alia, praying that the income tax demand raised in respect of Assessment Year [AY] 2007-08 be deleted after taking into account the tax deducted at source [TDS] certificate (in Form 16A) which was furnished by the petitioner. The petitioner further prays that the directions be issued to the respondent to pass an order granting refund of tax due, after adjusting the TDS which was deducted in respect of payments received or accrued during financial year [FY] 2006-07, along with up to date interest. 2. The petitioner is a registered partnership firm and had filed its return of income for AY 2007-08 declaring a total income of ₹2,21,43,820/-. The Signature Not Verified Digitally Signed By:TARUN RANA Signing Date:15.05.2025 W.P.(C) 11727/2023 Page 1 of 7 11:17:29 said return was processed under Section 143(1) of the Income Tax Act, 1961 [the Act] and an intimation dated 18.03.2009 was issued, whereby the TDS which was covered in the TDS certificate issued by Freudenberg Nok Pvt. Ltd. (formerly known as Sigma Freudenberg NOK Pvt. Ltd.) was rejected. The details of the same, which were to be attached with the intimation issued under Section 143(1) of the Act, were furnished to the petitioner on 09.06.2016. Thereafter, the petitioner, filed an application under Section 154 of the Act on 22.06.2016, for