PCIT Vs Gehna Jewellers Pvt. Ltd. (Bombay High Court)
The Bombay High Court dismissed an appeal filed by the Principal Commissioner of Income Tax (PCIT), upholding the Income Tax Appellate Tribunal’s (ITAT) decision to quash a revisionary order against Gehna Jewellers Pvt. Ltd. for the Assessment Year (AY) 2012-2013. The case centered on the PCIT’s invocation of powers under Section 263 of the Income Tax Act, 1961, to revise the original assessment order, claiming it was “erroneous and prejudicial to the interests of the Revenue.”
PCIT’s Revisionary Order and Key Issues
The PCIT initiated revisional proceedings on five issues, ultimately confining the setting aside of the assessment order to three grounds. The PCIT essentially contended that the Assessing Officer (AO) had failed to conduct adequate enquiries during the original assessment, thereby making the assessment order defective.
The three primary issues that formed the basis of the PCIT’s revisionary order were:
1. Non-furnishing of carat-wise details: The PCIT alleged that the AO failed to call for and examine carat-wise details of gold and diamond jewellery manufactured and sold by the assessee.
2. Genuineness of Advance: The PCIT questioned the genuineness of an advance of lakhs received from an individual, arguing the AO’s enquiry was insufficient.
3. Reasonableness of Payment: The PCIT contested the reasonableness of payments made to ‘Anmol jewellery’ under Section , relating to transactions with related parties.
ITAT and Bombay High Court Findings






