This case involves 34 appeals filed by various co-operative banks against the Income Tax Officer (Intelligence) for issuing notices under Section 133(6) (of Income Tax Act, 1961), seeking information about their deposits. The banks challenged the jurisdiction of the Income Tax Officer (Intelligence) to issue these notices, but the High Court ultimately dismissed the appeals, upholding the validity of the notices.
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Enanalloor Service Co-operative Bank Limited (Rep by its Secretary, Ayavana) vs Income Tax Officer and Ors. (High Court of Kerala)
ITA.No.73 of 2018
Date: 19th February 2020
1. The Income Tax Officer (Intelligence) has the authority to issue notices under Section 133(6) (of Income Tax Act, 1961) to co-operative banks, based on the powers granted to Income Tax authorities under Section 120 (of Income Tax Act, 1961).
2. The court held that the "Income Tax Authorities" have a wide scope, which includes the Assessing Officer, and they can exercise powers under Section 133(6) (of Income Tax Act, 1961) to collect information.
3. The court relied on past precedents, such as the Kodur Service Co-operative Bank case, to uphold the jurisdiction of the Income Tax Officer (Intelligence) to issue the notices.
Whether the Income Tax Officer (Intelligence) had the jurisdiction to issue notices under Section 133(6) (of Income Tax Act, 1961) to the co-operative banks, seeking information about their deposits.
- 34 co-operative banks filed appeals against the Income Tax Officer (Intelligence) for issuing notices under Section 133(6) (of Income Tax Act, 1961), seeking information about their deposits for the financial years 2010-11, 2011-12, and 2012-13.
- The banks challenged the jurisdiction of the Income Tax Officer (Intelligence) to issue these notices, arguing that only the Assessing Officer has the power to do so under Section 133(6) (of Income Tax Act, 1961).
- The banks had unsuccessfully challenged the notices before the Commissioner of Appeals and the Income Tax Appellate Tribunal before filing these appeals.
- The banks argued that the Income Tax Officer (Intelligence) did not have the jurisdiction to issue the notices under Section 133(6) (of Income Tax Act, 1961), as this power is vested only with the Assessing Officer.
- The banks also argued that the "enquiry" and "inquiry" under Section 133(6) (of Income Tax Act, 1961) have different meanings, and the Income Tax Officer (Intelligence) is not authorized to conduct an "enquiry."
- The Revenue argued that the Income Tax Officer (Intelligence) has the authority to issue the notices under Section 133(6) (of Income Tax Act, 1961) based on the powers granted to Income Tax Authorities under Section 120 (of Income Tax Act, 1961).
- Kathiroor Service Co-operative Bank Ltd. v. Commissioner of Income-Tax (CIB) and Others [(2014) 360 ITR 243 (SC)]
- Kodur Service Co-operative Bank Ltd. And Others v. Director of Income Tax (Intelligence) and Another [(2014) 367 ITR 22 (Ker)]
Judgment:
- The High Court dismissed the appeals, upholding the validity of the notices issued by the Income Tax Officer (Intelligence) under Section 133(6) (of Income Tax Act, 1961).
- The court held that the Income Tax Officer (Intelligence) has the
authority to issue the notices under Section 133(6) (of Income Tax Act, 1961) based on the powers granted to Income Tax Authorities under Section 120 (of Income Tax Act, 1961).
- The court also relied on the Kodur Service Co-operative Bank case, where the Division Bench had upheld the jurisdiction of the Income Tax Officer (Intelligence) to issue similar notices.
Q1. Why did the co-operative banks challenge the notices issued by the Income Tax Officer (Intelligence)?
A1. The co-operative banks challenged the notices on the grounds that the Income Tax Officer (Intelligence) did not have the jurisdiction to issue them under Section 133(6) (of Income Tax Act, 1961). They argued that only the Assessing Officer has the power to issue such notices.
Q2. What was the court's reasoning for upholding the jurisdiction of the Income Tax Officer (Intelligence)?
A2. The court relied on the powers granted to Income Tax Authorities under Section 120 (of Income Tax Act, 1961), which allows senior officers to issue orders to subordinate authorities. The court also cited the Kodur Service Co-operative Bank case, where the Division Bench had previously upheld the jurisdiction of the Income Tax Officer (Intelligence) to issue similar notices.
Q3. What is the significance of this case for co-operative banks and the Income Tax Department?
A3. This case establishes that the Income Tax Officer (Intelligence) has the authority to issue notices under Section 133(6) (of Income Tax Act, 1961) to co-operative banks, even if they are not the Assessing Officer. This expands the powers of the Income Tax Department to collect information from co-operative banks, which could have implications for their compliance and tax obligations.
Q4. What are the key legal principles established in this case?
A4. The key legal principles established in this case are:
- The "Income Tax Authorities" have a wide scope, which includes the Assessing Officer, and they can exercise powers under Section 133(6) (of Income Tax Act, 1961) to collect information.
- The Income Tax Officer (Intelligence) has the authority to issue notices under Section 133(6) (of Income Tax Act, 1961) based on the powers granted to Income Tax Authorities under Section 120 (of Income Tax Act, 1961).
- The court relied on past precedents, such as the Kodur Service Co-operative Bank case, to uphold the jurisdiction of the Income Tax Officer (Intelligence) to issue the notices.

1. This order shall decide 34 appeals preferred by various Co-operative Banks impugning the action of the Income Tax Officer (Intelligence), asking for furnishing information under Section 133(6) (of Income Tax Act, 1961), hereinafter 'the Act', for short, for the financial years 2010-11, 2011-12 and 2012-13. All the banks, after availing statutory remedy and remained unsuccessful before the Commissioner of Appeals as well as the Income Tax Appellate Tribunal, have preferred these appeals, 34 in number. The Tribunal decided the matters on different dates; the orders impugned in ITA.Nos.289/19, 290/19, 297/19, 298/19, 302/19, 303/19, 304/19, 308/19 & 312/19 on 23.8.2017; in ITA.Nos.291/19, 292/19, 293/19 & 305/19 on 3.10.2017; ITA.Nos.287/19 & 294/19 on 8.11.2017; ITA No.307/19 on 9.11.2017; ITA No.73/18 on 7.6.2018; ITA No.311/19 on 20.6.2019; ITA Nos.270/19, 271/19, 273/19, 275/19, 276/19, 279/19, 280/19, 295/19, 200/19 & 309/19 on 8.7.2019; ITA No.274/19 on 20.7.2019; ITA No.272/19 on 1.8.2019; ITA Nos.299/19 and 265/19 on 7.8.2019; ITA No.306/19 on 4.9.2019 and ITA No.296/19 on 1.10.2019.
2.The facts have been taken from ITA.No.73/2018, which, according to the learned counsel, is the lead case for adjudication of the questions of law raised in all the appeals. The questions of law raised for consideration are as following:
(1) Whether the Income Tax Officer (Intelligence) is an authority to issue notice U/S 133(6) (of Income Tax Act, 1961) to the appellant prior to Notification No.77 of 2014 of the CBDT dated 10.12.2014?
(2)Whether the notice U/S 133(6) (of Income Tax Act, 1961) issued by Income Tax Officer (Intelligence) is valid prior to Notification No.77 of 2014 of the CBDT on the delegation of power dated 10.12.2014?
(3)Whether the “Inquiry” u/s 133(6) (of Income Tax Act, 1961) in the absence of an “enquiry” under any of the provisions of the Act, conducted by the Income Tax Officer (Intelligence) is right in the eye of law?
(4)Whether the notice U/S 133(6) (of Income Tax Act, 1961) issued by Income Tax Officer (Intelligence) is valid in the absence of a formation of opinion as to whether it will be useful for or relevant to any enquiry or proceeding under the Act?
(5)Whether a notice u/s 133(6) (of Income Tax Act, 1961) can be issued on the appellant which is not a “person” as per Income Tax Act?
(6)Whether the order passed by the Joint Director of Income Tax (Intelligence) U/S 272A(2)(c) (of Income Tax Act, 1961) is right in the eye of law?
3. The learned counsel Sri.C.A.Jojo appearing on behalf of various Co-operative Banks, in support of the aforementioned questions of law, raised the following submissions:-
i. Section 133(6) (of Income Tax Act, 1961) empowers the Assessing Officer, the Deputy Commissioner (Appeals), the Joint Commissioner or the Commissioner (Appeals) to require firms, Hindu undivided families, trustees, any dealer, broker or agents and any person including a banking company (relevant in the instant case) to furnish information relating to such points or matters, statements of accounts and affairs verified in the manner specified by the set of officers referred to above, for giving information in relation to such points or matters, as in the opinion of the officers, would be useful for or relevant for the purpose of enquiry or proceeding under the Act. As per second proviso to the aforesaid provision of law, where no proceedings are pending, power in respect of an inquiry shall not be exercised by any “Income-tax authority” below the rank of Principal Director or Director or Principal Commissioner or Commissioner other than the Joint Director or Deputy Director or Assistant Director without the prior approval, of Principal Director or Director or as the case may be, the Principal Commissioner or Commissioner.
ii. The Income-tax Officer (Intelligence), Kochi did not have the jurisdiction to seek information vide notice dated 10.9.2013 (Annexure A) as he derives the power only by notification No.77/2014 dated 10.12.2014 issued by the Central Board of Direct Taxes (Annexure G). There is no delegation of power to the notification placed on record empowering the Income-tax Officer (Intelligence) to initiate proceedings under sub-section (6) of Section 133 (of Income Tax Act, 1961) nor is there any material on record justifying the opinion which would be useful and relevant for the purpose of the proceedings.
iii. The expressions 'enquiry' and 'inquiry' have different connotation and cannot be read in the same manner. The power to hold enquiry under section 133(6) (of Income Tax Act, 1961) vests only with the Assessing Officer (emphasis supplied), the Deputy Commissioner (Appeals), the Joint Commissioner or the Commissioner (Appeals) as the case may be. The proviso does not authorize the Income-tax Officer (Intelligence) to make such an inquiry.
iv.Section 120 (of Income Tax Act, 1961) do not envisage any power of delegation in the absence of any direction of the Central Board of Direct Taxes. The 'enquiry' under Section 133(6) (of Income Tax Act, 1961) has no nexus with any 'inquiry' under the Act. 'Enquiry' is a request for information. whereas 'inquiry' is the investigation because as per the statement of facts of the respondents, the Income-tax Officer (Intelligence) is not an Assessing Officer.
v. As per the 'Manual of Office Procedure', the responsibility for collection, collation and dissemination of information was with the Central Information Branch. But vide notification dated 6.9.2013 (Annexure G attached to the statement of the respondents in ITA.265/19), the aforementioned powers vested with the Income-tax Officer (Intelligence), Kochi, to collect the information, thus, the role of “Income-tax Officer (Intelligence)” and that of the “Assessing Officer” as per the Manual of Office Procedure is totally different, but the Tribunal did not address such issues, though, specifically raised in the memorandum of appeals.
vi. In support of the aforementioned contention, the counsel relied upon the judgment of the Hon'ble Supreme Court in Kathiroor Service Co-operative Bank Ltd. v. Commissioner of Income-Tax (CIB) and Others [(2014) 360 ITR 243 (SC)] wherein, while challenging the jurisdiction of the Assessing Officer under 133(6) of the Act, it was specifically held that the domain of holding the enquiry, including issuance of notice, vested only with the 'Assessing authority'.
4.Per contra, the learned counsel Sri.P.K.Ravindranatha Menon appearing for the Revenue relied on the notification dated 19.8.2011, annexed along with the statement of the respondents in ITA.265/19 as (Annexure A) and contended that it envisages clause for empowering Director or Director General of Income-tax (Intelligence and Criminal Investigation) for initiation of proceedings specified under Section 120 (of Income Tax Act, 1961) for issuance of order and directions to the Income-tax authorities.
5. He buttressed his arguments, supporting the action of the authorities, in raising demand of penalty, as, appellants did not comply with the requirement envisaged under section 133 (of Income Tax Act, 1961). Section 120 (of Income Tax Act, 1961) confers the jurisdiction upon the 'Income- tax Authorities' to exercise all or any of the powers and perform all or any of the functions, or as the case may be, assigned to such authorities in accordance with the directions of the Board. By Clause 2 of the notification dated 19.8.2011, Directors of Income-tax specified in column (2) of Schedule 2 was empowered to issue orders in writing to the income-tax authorities subordinate to them for the exercise of such powers under the Act.
6.The expression 'Income-tax Authority' is of a wide amplitude and would also include 'Assessing Officer'. Notification dated 10.12.2014 empowered the Director to issue orders in writing to the Income-tax Officer (Intelligence) for the purpose of verification only.
7.The provisions of sub-section 6 (of Income Tax Act, 1961) of section 133 (of Income Tax Act, 1961) and the proviso thereto cannot be read in isolation but in conjunction with section 120 (of Income Tax Act, 1961), particularly sub-section 2 (of Income Tax Act, 1961) thereof.
8. Almost identical question has been deliberated upon by Division Bench of this Court in Kodur Service Co-operative Bank Ltd. And Others v. Director of Income Tax (Intelligence) and Another [(2014) 367 ITR 22 (Ker)]. In the aforementioned case, an issue relating to the legality of notice, was challenged, by relying upon the judgment in Kathiroor Service Co-operative Bank Ltd. (supra) and it was held that as per the notification dated 19.8.2011 which was in vogue, the Directors of Income-tax had all the powers to issue orders in writing in relation to and in connection with collection, collation, verification and dissemination of information. The validity of notices under challenge and the jurisdiction of the Income-tax Officer (Intelligence) to issue the notices, were upheld.
9.Vide order/notification dated 1.11.2011, the Income-tax Officer, Thiruvananthapuram, Alappuzha, Kochi and Thrissur were authorised to function as Income-tax Officer (Intelligence) and by subsequent letter dated 2.9.2013, handed over during the course of hearing, the Director of Income-tax (Intelligence) authorised the Income-tax Officers (Intelligence) to issue notices to Co-operative Banks/Urban Co-operative Banks/Credit Co-operative Societies, calling for information. The scope of enquiry was in respect of the survey.
10. It was further argued that there is no merit in the appeals nor any questions of law arises for determination and prayed for dismissal of the appeals.
11. We have heard the counsel on both sides, perused the records, appraised the paper book and of the view that there is no force in the submissions and the reasons are not one but many.
12. Before adverting to the reasons, it would be in the fitness of things to extract the provisions of Sections 120 and 133 of the Act.
“Jurisdiction of income-tax authorities 120. (1) Income-tax authorities shall exercise all or any of the powers and perform all or any of the functions conferred on, or, as the case may be, assigned to such authorities by or under this Act in accordance with such directions as the Board may issue for the exercise of the powers and performance of the functions by all or any of those authorities.
Explanation- For the removal of doubts, it is hereby declared that any Income-tax authority, being an authority higher in rank, may,if so directed by the Board, exercise the powers and perform the functions of the income tax authority lower in rank and any such direction issued by the Board shall be deemed to be a direction issued under sub-section (1).
(2)The directions of the Board under sub-section (1) may authorise any other income-tax authority to issue orders in writing for the exercise of the powers and performance of the Functions by all or any of the other income-tax authorities who are subordinate to it.
(3) In issuing the directions or orders referred to in sub- sections (1) and (2), the Board or other income-tax authority authorised by it may have regard to any one or more of the following criteria, namely:-
(a) territorial area;
(b)persons or classes of persons;
(c) incomes or classes of income; and
(d) cases or classes of cases.
(4) Without prejudice to the provisions of sub-sections (1) and (2), the Board may by general or special order, and subject to such conditions, restrictions or
limitations as may be specified therein,-
(a) authorise any Principal Director General or Director General or other income-tax authority as may be assigned to him by the Board;
(b) empower the Principal Director General or Director General or Principal Director or Director to perform such functions of any "Principal Chief Commissioner or Chief Commissioner or Principal Commissioner or Commissioner to issue orders in writing that the powers and functions conferred on, or as the case may be, assigned to, the Assessing Officer by or under this Act in respect of any specified area or persons or classes of persons or incomes or classes of income or cases or classes of cases, shall be exercised or performed by an Additional Commissioner or an Additional Director or a Joint Commissioner or a Joint Director and, where any order is made under this clause, references in any other provision of this Act or in any rule made thereunder to the Assessing Officer shall be deemed to be references to such Additional Commissioner or Additional Director or Joint Commissioner or Joint Director by whom the powers and functions are to be exercised or performed under such order, and any provision of this Act requiring approval or sanction of the Joint Commissioner shall not apply.
(5) The directions and orders referred to in sub-sections (I) and (2) may wherever considered necessary or appropriate for the proper management of the work, require two or more Assessing Officers (whether or not of the same class) to exercise and perform, concurrently, the powers and functions in respect of any area or persons or classes of persons or incomes or classes of income or cases or classes of cases; and, where such powers and functions are exercised and performed concurrently by the Assessing Officers of different classes, any authority lower in rank amongst them shall exercise the powers and perform the functions as any higher authority amongst them may direct, and, further, references in any other provision of this Act or in any rule made thereunder to the Assessing Officer shall be deemed to be references to such higher authority and any provision of this Act requiring approval or sanction of any such authority shall not apply.
(6) Notwithstanding anything contained in any direction or order issued this section, or in section 124 (of Income Tax Act, 1961), the Board may, by notification in the Official Gazette, direct that for the purpose of furnishing of the return of income or the doing of any other act or thing under this Act or any rule made thereunder by any person or class of persons, the income- tax authority exercising and performing the powers and functions in relation to the said person or class of persons shall be such authority as may be specified in the notification.”
“Power to call for information.-
133. The Assessing Officer, the Deputy Commissioner (Appeals), the Joint Commissioner or the Commissioner (Appeals) may, for the purposes of this Act,-
(1) require any firm to furnish him with a return of the names and addresses of the partners of the firm and their respective shares;
(2) require any Hindu undivided family to furnish him with a return of the names and addresses of the manager and the members of the family;
(3) require any person whom he has reason to believe to be a trustee, guardian or agent, to furnish him with a return of the names of the persons for or of whom he is trustee, guardian or agent, and of their addresses;
(4) require any assessee to furnish a statement of the names and addresses of all persons to whom he has paid in any previous year rent, interest, commission, royalty or brokerage, or any annuity, not being any annuity taxable under the head “Salaries” amounting to more than one thousand rupees, or such higher amount as may be prescribed, together with particulars of all such payments made;
(5) require any dealer, broker or agent or any person concerned in the management of a stock or commodity exchange to furnish a statement of the names and addresses of all persons to whom he or the exchange has paid any sum in connection with the transfer, whether by way of sale, exchange or otherwise, of assets, or on whose behalf or from whom he or the exchange has received any such sum, together with particulars of all such payments and receipts;
(6) require any person including a banking company or any officer thereof, to furnish information in relation to such points or matters, or to furnish statements of accounts and affairs verified in the manner specified by the Assessing Officer, the Deputy Commissioner (Appeals), the Joint Commissioner or the Commissioner (Appeals), giving information in relation to such points or matters as, in the opinion of the Assessing Officer, the Deputy Commissioner (Appeals), the Joint Commissioner or the Commissioner (Appeals), will be useful for, or relevant to, any enquiry or proceeding under this Act:
Provided that the powers referred to in clause (6), may also be exercised by the Principal Director General or Director General, the Principal Chief Commissioner or Chief Commissioner, the Principal Director or Director or the Principal Commissioner or Commissioner or the Joint Director or Deputy Director or Assistant Director:
Provided further that the power in respect of an inquiry, in a case where no proceeding is pending, shall not be exercised by any income-tax authority below the rank of Principal Director or Director or Principal Commissioner or Commissioner, other than the Joint Director or Deputy Director or Assistant Director, without the prior approval of the Principal Director or Director or, as the case may be, the Principal Commissioner or Commissioner:
Provided also that for the purposes of an agreement referred to in section 90 (of Income Tax Act, 1961) or section 90A (of Income Tax Act, 1961), an income-tax authority notified under sub-section (2) of section 131 (of Income Tax Act, 1961) may exercise all the powers conferred under this section, notwithstanding that no proceedings are pending before it or any other income-tax authority."
(i) A cumulative reading of the aforesaid, particularly section 120 (of Income Tax Act, 1961), would reveal that the Income-tax Officers are vested with powers to exercise all functions conferred upon from time to time, including the Directors to issue orders in writing for the exercise of the powers and performance of their duties. From the plain and simple perusal of sub section 2 (of Income Tax Act, 1961) of section 120 (of Income Tax Act, 1961) (emphasis supplied), it is discerned that the senior officers of the Income-tax authorities have power to further issue directions or orders in writing for undertaking the task as per the provisions of the Act. Notification dated 19.8.2011 which was already in vogue prior to the issuance of the impugned notices, authorised the Directors of Income-tax to issue orders in writing to the Income-tax authorities subordinate to them, for exercise of such powers under the Act. The relevant portion of the notification and its applicability to Kochi at Sl.No.18 reads thus:
SECTION 120(1) AND (2) OF THE INCOME TAX ACT, 1961 - INCOME TAX AUTHORITIES - JURISDICTION OF DIRECTOR GENERAL/DIRECTOR (INTELLIGENCE & CRIMINAL INVESTIGATION) - SUPERSESSION OF NOTIFICATION NOS. S.0, 883(E), DATED 14-9-2001:
S.0. 494(E), DATED 13-3-2008; S.0.855(E) AND S.O.856(E), BOTH DATED 31-5-2007 NOTIFICATION NO.42/2011 DATED 19.8-2011
In exercise of the powers conferred by sub-sections (1) and (2) of section 120 (of Income Tax Act, 1961) [43 of 1961], and in supersession of the notifications of the Government of India, Ministry of Finance, Department of Revenue, Central Board of Direct Taxes, Number(s) S.0. 883(E), dated 14 September, 2001, S.O. 494(1), dated 13th March, 2008, 8.O. 855(E), dated 31st May, 2007 and S.O,856(E), dated 31st May, 2007, the Central Board of Direct Taxes hereby directs that:
-
(i) the Director General of Income-tax specified in column (2) of the Schedule -1 annexed to this notification, having his headquarters at the place specified in the corresponding entries in column (3) of the said Schedule shall exercise the powers and perform the functions in respect of such territorial area or of such persons or classes of persons or of such incomes or classes of incomes or of such cases or classes of cases, in respect of which the Directors of Income-tax specified in the corresponding entries in column (4) of the said Schedule are having jurisdiction;
(ii) the Directors of Income-tax specified in column (2) annexed to this notification, having their headquarters at the places specified in the corresponding entries in column (3) of the said Schedule-2, shall exercise powers and perform functions specified in column (5) of the aforesaid Schedule in respect of territorial areas specified in column (4) of the aforesaid Schedule;
2. The Directors of Income-tax specified in column (2) of the said Schedule-2 shall issue orders in writing to the income-tax authorities subordinate to them for the exercise of such powers under the income-tax Act by them, which may be specified therein, in respect of territorial areas under their jurisdiction.
Schedule-1
Sl. No. Designation of Income- tax Authorities Headquarters Directors of Income-tax 1 2 3 4 1 Director General of Income-tax (Intelligence and Criminal Investigation), Delhi New Delhi I) Director of Income-tax (Intelligence and Criminal Investigation, Administration), Delhi ii) Directors of Income-tax (Intelligence and Criminal Investigation) iii) Directors of Income-tax (Intelligence) Schedule-2
Sl. No. Designation of Income-tax Authorities Headquarter s Jurisdiction Powers and functions 1 2 3 4 51...17 18 Director of Income-tax (Intelligence), Kochi Kochi, Kerala Area within the State of Kerala and Union Territory of lakshadweep and Minicoy
All powers conferred under the Income-tax Act, 1961 related to and in connection with the collection, collation, verification and dissemination of information in respect of territorial are mentioned in column(4)
(ii) Though in the first blush, the argument of Sri.C.A.Jojo looked attractive, but on conjoint reading of the contents of the notifications dated 10.12.2014 and 19.8.2011, there is hardly any substance in the submission that the 'Income-tax Assessing Officer' would exclusively have jurisdiction to call for verification vide notices, impugned and not fall within the purview of 'Income tax Authorities'. The expression 'Income- tax authorities' is of a wide amplitude and also include Assessing Officer as defined under Section 133 (of Income Tax Act, 1961).
The role of both the authorities, besides verification, is also for collection, dissemination as well as enquiry. It is a matter of record that the appellants did not provide any information on receipt of the impugned notice resulting into imposition of penalty.
(iii) There is nothing in the notification dated 19.8.2011, which would arrest the power of the Director of Income-tax to authorise Income-tax authorities to initiate actions. By specifying section 133 (of Income Tax Act, 1961), in the notification dated 10.12.2014, would not mean that the Income-tax authorities did not have any jurisdiction to issue the impugned notice in the year 2013. The procedure prescribed under sub-section 6 (of Income Tax Act, 1961) of section 133 (of Income Tax Act, 1961) is akin to a survey in order to ascertain whether the Co-operative Banks failed to divulge information with regard to the receipts of more than 5 lakhs within three immediate assessment years.
(iv) Reliance on the manual, it is only with regard to the procedure which would not partake the powers and the functions of the authorities enumerated in the Principal Act.
(v) In Kathiroor Service Bank (supra), the question which came to be pondered was that it pertained to challenge of the notices, issued under section 133(6) (of Income Tax Act, 1961) by various Income- tax authorities. In none of the paras, a distinction has been drawn that the 'Assessing Officer' would not mean the 'Income-tax Authorities'. The powers under section 133(6) (of Income Tax Act, 1961) for repetition are in the nature of survey and a general enquiry to identify persons who are likely to have taxable income or whether they complied with the provisions of the Act.
(vi) On the contrary, the issue raised in the present appeals have, almost, been answered in Kodur Service Co- operative Bank (supra). In the aforementioned judgment, no dispute was raised questioning the legality of the notices, whereby similarly situated cooperative banks were called upon to furnish details of the entire deposits of more than Rs.5 lakhs in an year for the last three previous years in the saving bank account, on the premise, that the said notice was not issued by the authority specified in section 133(6) (of Income Tax Act, 1961). While considering the aforementioned argument, the Division Bench in paragraphs 6 and 7 held as follows:
“6. Coming to the first issue whether the authority which signed exhibit P1 had power to issue such notice to various co-operative societies, we have orders and notification referred to above issued by the Director of Income-tax indicating who are the authorities who could discharge various functions. The authority who issued exhibit P1 under section 120(2) of the Income Tax Act, 1961 by notification dated August 19, 2011, at SL No. 18 is the Director of Income-tax, having head quarters at Kochi, Kerala, who has jurisdiction over the area within the State of Kerala, Union Territory of Lakshadweep and Minicoy. He has all powers envisaged under the Income-tax Act related to and in connection with collection, collation, verification and dissemination of information in respect of the area over which he has jurisdiction. By office order dated November 1, 2011, the Income-tax Officer, Thiruvananthapuram, Alappuzha, Kochi and Thrissur were authorised to function as Income-tax Officer (Intelligence) of the above three places. Letter dated September 2, 2013, is issued by the Director of Income- tax (Intelligence) to the above Income-tax Officers (Intelligence) authorising them to issue notices to co- operative banks/urban co-operative banks/credit co- operative societies coming under the respective jurisdiction calling for information as contemplated under section 133(6) of the Income Tax Act, 1961. By virtue of these documents, the Income-tax Officer (Intelligence) is the authorised person who could issue exhibit P1, therefore, the allegation that the officer who issued exhibit P1 had no authority has to be rejected.
7. Then coming to section 133(6) of the Income Tax Act, 1961, in Kathiroor Service Co-operative Bank's case (supra), various co-operative societies registered under the Kerala Co-operative Societies Act engaged in banking business were before this court when notices were issued to the societies under section 133(6) (of Income Tax Act, 1961) calling for particulars of cash transaction above rupees one lakh with details of account holders/deposit holders in the format prepared by the authority issuing the notices. The societies challenged the validity of the notices. After referring to section 133(6) (of Income Tax Act, 1961), prior to the introduction of the second proviso and its effect and after the introduction of the second proviso to section 133(6) (of Income Tax Act, 1961), their Lordships opined that there was no scope for interfering with validity of notices. “
13. From the reliance on the notification dated 1.11.2011, it is decipherable that the power of collection, collation and dissemination which earlier vested with Central Information Branch was transferred to Income-tax officer (Intelligence), which would not mean that the notices issued and imposition of penalty by Income-tax Officer (Intelligence) lacked jurisdiction.
As an upshot, we are of the view that the present appeals do not involve determination of any substantial questions. These appeals are accordingly dismissed upholding the orders under challenge. There shall be no order as to costs.
Sd/-
C.K.Abdul Rehim, Judge
Sd/-
Amit Rawal, Judge
APPENDIX OF ITA 73/2018
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.09.2013
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 19.5.2014
ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 19.3.2015
ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 16.7.2014
ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 20.3.2017
ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 6.6.2017
ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO. 77/2014 CBDT NOTIFICATION DATED 10.12.2014
ANNEXURE H A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANT
ANNEXURE I A CERTIFIED COPY OF THE ORDER OF THE HON'BLE ITAT DATED 7.6.2018
APPENDIX OF ITA 265/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 6.9.2013.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 17.3.2015.
ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 15.10.2015.
ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 23.9.2015.
ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 14.5.2019.
ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 16.5.2019.
ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE H A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANT ON 5.8.2019.
ANNEXURE I A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 7.8.2019.
ANNEXURE J A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
ANNEXURE K A TRUE COPY OF THE LETTER OF DEMAND ISSUED BY THE 4TH RESPONDENT DATED 9.10.2019.
RESPONDENT'S ANNEXURES
A: COPY OF NOTIFICATION S.O 1942(E) DATED 19.8.2011
B: COPY OF OFFICE ORDER DATED 1.11.2011 BY THE DIRECTOR OF INCOME TAX (INTELLIGENCE), KOCHI
C: COPY OF OFFICE ORDER DATED 1.11.2011 BY THE DIRECTOR OF INCOME TAX (INTELLIGENCE), KOCHI
D: COPY OF NOTIFICATION S.O 1942(E) DATED 19.8.2011, SUBSTITUTED ENTRIES
E: COPY OF OFFICE ORDER DATED 19.2.2014 BY THE DIRECTOR OF INCOME TAX (INTELLIGENCE), KOCHI
F: COPY OF PARAGRAPH 3, CHAPTER 8 MANUAL OF OFFICE PROCEDURE VOLUME -II
G: COPY OF THE LETTER ISSUED BY INCOME TAX OFFICER (INTELLIGENCE) TO THE APPELLANT DATED 6.9.2013
APPENDIX OF ITA 270/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S. 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 02.09.2013.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 23.03.2015.
ANNEXURE C A TRUE COPY OF THE REPLAY SUBMITTED TO THE 1ST RESPONDENT DATED 04.04.2015.
ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S. 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 22.12.2015.
ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019.
ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HONBLE ITAT COCHIN BENCH DATED 07.05.2019
ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO. 77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE H A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANTS.
ANNEXURE I A TRUE COPY OF THE ORDER OF THE HONBLE ITAT DATED 08.07.2019.
ANNEXURE J A TRUE COPY OF THE STAY ORDER OF THIS HONBLE COURT IN ITA NO. 73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 271/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 25.9.2014.
ANNEXURE B A TRUE COPY OF THE PENALTY ORDER ISSUED BY THE 2ND RESPONDENT DATED 25.8.2015.
ANNEXURE C A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.2.2019.
ANNEXURE D A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 8.3.2019.
ANNEXURE E A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE F A TRUE COPY OF THE ARGUMENT NOTE SUBMITTED BY THE APPELLANT.
ANNEXURE G A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 8.7.2019.
ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 272/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 02/09/2013.
ANNEXURE B A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 22/12/2015.
ANNEXURE C A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26/02/2019.
ANNEXURE D A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 20/03/2019.
ANNEXURE E A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10/12/2014.
ANNEXURE F A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANTS.
ANNEXURE G ORIGINAL COPY OF THE ORDER OF THE HON'BLE ITAT DATED 01/08/2019.
ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29/11/2018.
APPENDIX OF ITA 273/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE(INTELLIGENCE) DATED 02.09.2013
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 08.04.2015
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 22.12.2015
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 27.05.2019
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014
ANNEXURE G A TRUE COPY OF THE ARGUMENT NOTE SUBMITTED BY THE APPELLATE
ANNEXURE H A ORIGINAL COPY OF THE ORDER OF THE HON'BLE ITAT DATED 08.07.2019
ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73/2018 DATED 29.11.2018
APPENDIX OF ITA 274/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 18.9.2013
ANNEXURE B TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE IST RESPONDENT DATED 5.2.2015.
ANNEXURE C TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 25.8.2015.
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 30.1.2019.
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 18.3.2019.
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE G A TRUE COPY OF THE ARGUMENT NOTE DATED 20.5.2019 SUBMITTED BY THE APPELLANT.
ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 20.7.2019.
ANNEXURE I A TRUE COPY OF THE LETTER OF DEMAND NO.ITBA/COM/F/17/2019-20/1019317244(1) DATED 23.10.2019.
ANNEXURE J A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT INITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 275/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE(INTELLIGENCE) DATED 23.10.2013
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 23.03.2015
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 22.12.2015
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 27.05.2019
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION DATED 10.12.2014
ANNEXURE G A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLATE
ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 08.07.2019
ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73/2018 DATED 29.11.2018
APPENDIX OF ITA 276/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE INTELLIGENCE DATED 02.09.2013.
ANNEXURE B A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 27.10.2014.
ANNEXURE C ORIGINAL COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019.
ANNEXURE D A TRUE COPY OF THE APPEAL FILED BEFORE THE HONBLE ITAT COCHIN BENCH DATED 07.03.2019.
ANNEXURE E TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO. 77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE F A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANTS.
ANNEXURE G A TRUE COPY OF THE ORDER OF THE HONBLE ITAT DATED 08.07.2019.
ANNEXURE H A TRUE COPY OF THE LETTER OF DEMAND ISSUED BY THE 4TH RESPONDENT DATED 03.10.2019.
ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HONBLE COURT IN ITA NO. 73 OF 2018 DATED 29.11.2018
APPENDIX OF ITA 279/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.09.2013
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1st RESPONDENT DATED 19.5.2014
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 05.02.2015
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 10.5.2019
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014
ANNEXURE G A TRUE COPY OF THE ARGUMENT NOTE SUBMITTED BY THE APPELLANT DATED 08.07.2019
ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 08.07.2019
ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018
APPENDIX OF ITA 280/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S.133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 2.9.2013.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 23.3.2015.
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S.156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 22.12.2015.
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.2.2019.
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 8.4.2019.
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE G A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANT DATED 8.7.2019.
ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 8.7.2019.
ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 287/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.09.2013.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 20.05.2014.
ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 28.05.2014.
ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 27.10.2014.
ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 31.03.2017.
ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 12.05.2017.
ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE H TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 08.11.2017.
ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 289/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10-09-2013
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 19-05-2014
ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 24-09-2015
ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S. 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 19-09-2014
ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 30-06-2015
ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 20-07-2015
ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO. 77/2014 CBDT NOTIFICATION DATED 10-12-2014
ANNEXURE II A TRUE COPY OF ARGUMENT NOTE DATED 17-08- 2017
ANNEXURE I a true copy of the order of the hon'ble ITAT dated 23-08-2017
ANNEXURE j A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA N. 73 OF 2018 DATED 29-11-2018
APPENDIX OF ITA 290/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 08.11.2013.
ANNEXURE B TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 27.11.2014.
ANNEXURE C A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 20.03.2017.
ANNEXURE D A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 25.04.2017.
ANNEXURE E A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE F A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 23.08.2017.
ANNEXURE G A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 291/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE UNDER SECTION 133(6) ISSUED BY THE INCOME TAX OFFICE(INTELLIGENCE) DATED 05.09.2013.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 19.05.2014.
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND UNDER SECTION 156, ISSUED BY THE 2ND RESPONDENT DATED 15.09.2014.
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 21.03.2017.
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 23.04.2017.
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE G ORIGINAL COPY OF THE ORDER OF THE HON'BLE ITAT DATED 03.10.2017.
ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 292/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.09.2013.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 20.05.2014.
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 16.07.2014.
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 31.03.2017.
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 09.05.2017.
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE G A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 03.10.2017.
ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 293/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE UNDER SECTION 133(6) ISSUED BY THE INCOME TAX OFFICE(INTELLIGENCE) DATED 08.11.2013.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 23.10.2014.
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND UNDER SECTION 156, ISSUED BY THE 2ND RESPONDENT DATED 27.11.
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 20.03.2017.
ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 12.05.2014.
ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014.
ANNEXURE G A CERTIFIED COPY OF THE ORDER OF THE HON'BLE ITAT DATED 03.10.2017 IN ITA 2011/COCHIN/2017.
ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018.
APPENDIX OF ITA 294/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE-A A TRUE COPY OF THE NOTICE U/S. 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 0.09.2013
ANNEXURE-B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 20.05.2014
ANNEXURE-C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 25.09.2013
ANNEXURE-D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S.156 (of Income Tax Act, 1961),ISSUED BY THE 2ND RESPONDENT DATED 16.07.2014
ANNEXURE-E A TUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 20.03.2017
ANNEXURE-F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 19.05.2017
ANNEXURE-G A TRUE COPY OF THE RELEVANT PAGE OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014
ANNEXURE-H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 08.11.2017
ANNEXURE-I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018
APPENDIX OF ITA 295/2019
PETITIONER'S/S EXHIBITS:
ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED.
ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 23.10.2013.
ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 10.04.2015
ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019. ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 21.03.2019. ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE G A TRUE COPY OF THE HON'BLE ITAT DATED 08.07.2019. ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 296/2019 PETITIONER'S/S EXHIBITS: ANNEXURE-A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.09.2013 ANNEXURE-B A TRUE COPY F THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 19.05.2014 ANNEXURE-C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S.156 (of Income Tax Act, 1961),ISSUED BY THE 2ND RESPONDENT DATED 25.02.2015 ANNEXURE-D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019 ANNEXURE-E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 07.06.2019 ANNEXURE-F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014/CBDT NOTIFICATION DATED 10.12.2014 ANNEXURE-G A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 01.10.019 ANNEXURE-H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018 APPENDIX OF ITA 297/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE INTELLIGENCE DATED 02.09.2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 19.06.2014. ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S. 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 04.08.2014. ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 06.11.2015. ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HONBLE ITAT COCHIN BENCH DATED 15.12.2015. ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO. 77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE G ORIGINAL COPY OF THE ORDER OF THE HONBLE ITAT DATED 23.8.2017. ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HONBLE COURT IN ITA NO. 73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 298/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE UNDER SECTION 133(6) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.09.2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 19.05.2014. ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT BY THE APPELLANT DATED 27.01.2014. ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND UNDER SECTION 156, ISSUED BY THE 2ND RESPONDENT DATED 11.19.2014. ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 25.04.2017. ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 16.05.2017. ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE H ORIGINAL COPY OF THE ORDER OF THE HON'BLE ITAT DATED 23.08.2017. ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 299/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE)DATED 02-09-2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 07-09-2015. ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 15 (of Income Tax Act, 1961)+6, ISSUED BY THE 2ND RESPONDENT DATED 23-09-2015. ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 04-05-2019. ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN COCHIN BENCH DATED 26- 06-2019. ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO. 77/2014 CBDT NOTIFICATION DATED 10-12-2014. ANNEXURE G A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANT DATED 07-08-2019. ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 07-08-2019. ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO. 73 OF 2018 DATED 29-11-2018. APPENDIX OF ITA 300/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S.133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 18.9.2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 12.6.2015. ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S.156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 20.8.2015. ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 29.1.2019. ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 21.3.2019. ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE G A TRUE COPY OF THE ARGUMENT NOT SUBMITTED BY THE APPELLANT DATED 27.6.2019. ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 8.7.2019. ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 302/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S. 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 06.09.2013. ANNEXURE B A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S. 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 27.11.2014. ANNEXURE C A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 20.03.2017. ANNEXURE D A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COHIN BENCH DATED 22.04.2017. ANNEXURE E A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE F A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 23.08.2017. ANNEXURE G A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 303/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.1.2014 ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 20.5.2014 ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 27.5.2014 ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 27.11.2014 ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 4.3.2016 ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 23.5.2016 ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO 77/2014 CBDT NOTIFICATION DATED 10.12.2014 ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 23.8.2017 ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO 73 OF 2018 DATED 29.11.2018 APPENDIX OF ITA 304/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 16-09-2014 ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 20-05-2014 ANNEXURE A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 30-09-2014 ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S. 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 25-09-2014. ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 29-01-2016 ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 13-04-2016 ANNEXURE A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO. 77/2014 CBDT NOTIFICATION DATED 10-12-2014 ANNEXURE H original COPY OF THE ORDER OF THE HON'BLE ITAT DATED 23-08--2017 ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO. 73 OF 2018 DATED 29-11-2018 APPENDIX OF ITA 305/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S.133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.9.2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 19.5.2014. ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 25.1.2014. ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 15.9.2014. ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 25.4.2017. ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 11.5.2017. ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE H ORIGINAL COPY OF THE ORDER OF THE HON'BLE ITAT DATED 3.10.2017. ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 306/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S.133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.1.2014. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 1.7.2014. ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 28.5.2014. ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 16.7.2014. ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.2.2019. ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 20.7.2019. ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE H A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 4.9.2019. ANNEXURE I A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 307/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S.133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 10.9.2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 2ND RESPONDENT DATED 12.8.2014. ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 19.9.2014. ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 21.3.2017. ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 9.5.2019. ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE G CERTIFIED COPY OF THE ORDER OF THE HON'BLE ITAT DATED 9.11.2017. ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 308/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S.133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 6.9.2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 23.10.2014. ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 27.11.2014. ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 20.3.2017. ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 22.4.2017. ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE G A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 23.8.2017. ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 309/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE(INTELLIGENCE) DATED 02.09.2013 ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 17.03.2015 ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 09.10.2015 ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S 156 (of Income Tax Act, 1961),ISSUED BY THE 2ND RESPONDENT DATED 23.09.2015 ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 26.02.2019 ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 02.04.2019 ANNEXUREMG A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014 ANNEXURE H A TRUE COPY OF THE ARGUMENT NOTE SUBMITTED BY THE APPELLANTS ANNEXURE I A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 08.07.2019 ANNEXURE J A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 311/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S.133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE (INTELLIGENCE) DATED 18.9.2013. ANNEXURE B A TRUE COPY OF THE SHOW CAUSE NOTICE ISSUED BY THE 2ND RESPONDENT DATED 5.2.2015. ANNEXURE C A TRUE COPY OF THE REPLY SUBMITTED TO THE 1ST RESPONDENT DATED 18.3.2015. ANNEXURE D A TRUE COPY OF THE PENALTY ORDER WITH DEMAND U/S.156 (of Income Tax Act, 1961), ISSUED BY THE 2ND RESPONDENT DATED 25.8.2015. ANNEXURE E A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 29.1.2019. ANNEXURE F A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 22.3.2019. ANNEXURE G A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014. ANNEXURE H A TRUE COPY OF THE ARGUMENT NOTE DATED 20.6.2019 SUBMITTED BY THE APPELLANT. ANNEXURE I CERTIFIED COPY OF THE ORDER OF THE HON'BLE ITAT DATED 20.6.2019. ANNEXURE J A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73 OF 2018 DATED 29.11.2018. APPENDIX OF ITA 312/2019 PETITIONER'S/S EXHIBITS: ANNEXURE A A TRUE COPY OF THE NOTICE U/S 133(6) (of Income Tax Act, 1961) ISSUED BY THE INCOME TAX OFFICE(INTELLIGENCE) DATED 06.09.2013 ANNEXURE B A TRUE COPY OF TH SHOW CAUSE NOTICE ISSUED BY THE 1ST RESPONDENT DATED 23.10.2014 ANNEXURE C A TRUE COPY OF THE PENALTY ORDER WITH DEMAND/S156, ISSUED BY THE 2ND RESPONDENT DATED 27.11.2014 ANNEXURE D A TRUE COPY OF THE APPELLATE ORDER OF THE 3RD RESPONDENT DATED 20.03.2017 ANNEXURE E A TRUE COPY OF THE APPEAL FILED BEFORE THE HON'BLE ITAT COCHIN BENCH DATED 22.04.2017 ANNEXURE F A TRUE COPY OF THE RELEVANT PAGES OF CBDT NOTIFICATION NO.77/2014 CBDT NOTIFICATION DATED 10.12.2014 ANNEXURE G A TRUE COPY OF THE ORDER OF THE HON'BLE ITAT DATED 23.08.2017 ANNEXURE H A TRUE COPY OF THE STAY ORDER OF THIS HON'BLE COURT IN ITA NO.73/2018 DATED 29.11.2018