Home
Issues: Petition under section 482 of the Criminal Procedure Code against order framing charge under section 276CC of the Income-tax Act, 1961.
Analysis: The petitioners, a company and its directors, filed a petition against the order framing a charge under section 276CC of the Income-tax Act. The company's income tax return for the assessment year 1990-91 was filed late, leading to a notice for prosecution. The petitioners argued that the return was filed voluntarily before the show-cause notice, demonstrating their bona fides. They contended that there was no deliberate or willful default, which is crucial for the offense. The complaint's allegations were deemed vague, and reliance was placed on a Calcutta High Court decision emphasizing the prosecution's burden to prove guilt in a criminal case. The court examined relevant sections of the Income-tax Act, such as Section 139(1) mandating timely return filing, Section 276C punishing tax evasion attempts, and Section 276CC penalizing willful failure to furnish returns on time. The court noted that under Section 276CC, mens rea is essential, but the burden of proof shifts to the accused under Section 278E, added in 1986. This section presumes a culpable mental state in tax offenses, placing the onus on the accused to prove otherwise beyond reasonable doubt. The court highlighted that the Act treats natural and juristic persons equally in prosecutions. The court found that the petitioners failed to prove their defense beyond reasonable doubt regarding the delayed filing of the income tax return. It emphasized that a charge can be framed based on strong suspicion, citing a recent Supreme Court decision. The court dismissed the petition, emphasizing the obligation to avoid interference at the charge-framing stage based on mere hypothesis or technicalities, discouraging unscrupulous litigation tactics.
|