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Huawei Telecommunications (India) Withdraws ITAT Appeals After Opting for Vivad se Vishwas Scheme [Read Order]

Huawei Telecom (India) Pvt. Ltd withdrew its ITAT appeals under the 2024 Vivad se Vishwas Scheme; the tribunal allowed withdrawal with liberty to restore if required

Nandan GK
Huawei Telecommunications (India) Withdraws ITAT Appeals After Opting for Vivad se Vishwas Scheme [Read Order]
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In a recent decision, the Delhi bench of the Income Tax Appellate Tribunal (ITAT) dismissed Huawei Telecommunications' appeal following its decision to opt for the Direct Tax Vivad se Vishwas Scheme, 2024  (DTVSV). The assessee, Huawei Telecommunications (India) Pvt. Ltd., is a prominent business entity engaged in the business of providing telecommunications equipment and related services...


In a recent decision, the Delhi bench of the Income Tax Appellate Tribunal (ITAT) dismissed Huawei Telecommunications' appeal following its decision to opt for the Direct Tax Vivad se Vishwas Scheme, 2024  (DTVSV).

The assessee, Huawei Telecommunications (India) Pvt. Ltd., is a prominent business entity engaged in the business of providing telecommunications equipment and related services in India.

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For assessment years 2021–22 and 2022–23 (quarters 2 and 3), certain additions and adjustments were made during the course of assessment, leading to appeals before the Commissioner of Income Tax (Appeals) CIT(A).

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The CIT(A), however, dismissed the appeal. Aggrieved by the order, the assessee moved to the tribunal.

The counsel for the assessee Ankul Goyal, submitted a letter before the tribunal, stating that the assessee had opted to resolve the dispute under the Direct Tax Vivad se Vishwas Scheme, 2024.

In this regard, the counsel pointed out that Form No. 1 and Form No. 2 had already been issued. Based on this, the assessee requested permission to withdraw the pending appeals. The assessee also requested the tribunal for liberty to pursue litigation on the same issue for other years, if necessary.

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The counsel Vijay B. Basanta,representing the department, raised no objection to the assessee’s request for withdrawal of the appeals.

After considering the submissions of both parties, the tribunal led by Yogesh Kumar (Judicial Member) and Brajesh Kumar Singh (Accountant Member) recorded the fact that the assessee had opted for the DTVSV Scheme and dismissed the appeals as withdrawn.

To Read the full text of the Order CLICK HERE

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