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Draft copy of Stay Order Application against Order of Income Tax Demand U/S 143(3), Exercises of Law

Draft copy of Stay Order Application against Order of Income Tax Demand U/S 143(3)

Typology: Exercises

2019/2020
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Uploaded on 02/18/2020

amishdadawala
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Advocate Amish J. Dadawala
B.Com, L.L.M.
Office: - 1004, Rajnigandha Apartment – A, Near New Court Complex Diwalipura O P Road Vadodara – 390007
To,
Income Tax Officer
Ward 1(1)(2)
Aaykar Bhavan
Race Course Circle,
Vadodara – 390007.
Date: - 13-01-2020
Respected Sir,
Re.: P. A. No.: AMFPP 1677 H - AMISH JAYESHBHAI DADAWALA
Outstanding Tax Demand for Assessment Year 2017-18
1. I refer to your Letter Dt. 09-12-2019, raising the demand of Rs. 43,82,959.00 and asking to make
payment within 30 days from receipt of letter.
2. In this connection, I inform your honour that Appeal has been preferred against the order passed
under section 143(3) of the Income Tax Act.
3. In the circumstances, I request your honour to keep the demand in abeyance till the disposal of appeal
and in the meantime I request you not to treat Assessee in default for not making payment against
outstanding demand and not to take any coercive measures for recovery of demand.
4. I rely on the decision of Bombay High Court in the writ petition in the case of Bhupendra Mulji Shah.
(Copy is enclosed)
5. I trust you will accede to request and keep demand in abeyance till the decision of appeal.
Thanking you,
Yours Faithfully
Advocate,
Amish J. Dadawala
(Enclosures as above)
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Advocate Amish J. Dadawala

B.Com, L.L.M. Office: - 1004, Rajnigandha Apartment – A, Near New Court Complex Diwalipura O P Road Vadodara – 390007 To, Income Tax Officer Ward 1(1)(2) Aaykar Bhavan Race Course Circle, Vadodara – 390007. Date: - 13-01- Respected Sir, Re.: P. A. No.: AMFPP 1677 H - AMISH JAYESHBHAI DADAWALA Outstanding Tax Demand for Assessment Year 2017-

  1. I refer to your Letter Dt. 09-12-2019, raising the demand of Rs. 43,82,959.00 and asking to make payment within 30 days from receipt of letter.
  2. In this connection, I inform your honour that Appeal has been preferred against the order passed under section 143(3) of the Income Tax Act.
  3. In the circumstances, I request your honour to keep the demand in abeyance till the disposal of appeal and in the meantime I request you not to treat Assessee in default for not making payment against outstanding demand and not to take any coercive measures for recovery of demand.
  4. I rely on the decision of Bombay High Court in the writ petition in the case of Bhupendra Mulji Shah. (Copy is enclosed)
  5. I trust you will accede to request and keep demand in abeyance till the decision of appeal. Thanking you, Yours Faithfully Advocate, Amish J. Dadawala (Enclosures as above)