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2006 (2) TMI 154 - HC - Income Tax

Issues Involved:
The appeal challenges the order of the Income-tax Appellate Tribunal regarding the validity of reassessment proceedings and the correctness of the findings made. The key questions of law are whether the reassessment proceedings were validly initiated and whether the Tribunal's findings were contrary to the record.

Validity of Reassessment Proceedings:
The respondent-firm was dissolved, and a return was filed at nil income for the assessment year 1989-90 under section 148. The assessee objected to the jurisdiction of the Assessing Officer under section 147/148, contending that it was not sustainable. The Commissioner (Appeals) and the Tribunal both upheld the objection, stating that the initiation of proceedings under section 148 was without jurisdiction. The Tribunal affirmed the order quashing the proceedings.

Reasons for Reassessment:
During the hearing, the court directed the Revenue's counsel to provide the reasons recorded by the Assessing Officer before assuming jurisdiction under section 147/148. The reasons indicated an estimation of unexplained investment by the assessee-firm, leading to an alleged income escape of Rs. 6.69 lakhs for the assessment year 1989-90. However, the court observed that the escapement of assessment was based on assumptions rather than existing material evidence. The court noted discrepancies in the information provided, highlighting that the subjective satisfaction required for reassessment was not founded on concrete evidence.

Conclusion:
The court found that no substantial question of law arose in the case, as the reassessment was deemed invalid due to lack of concrete evidence supporting the alleged income escape. The court dismissed the appeal, indicating that the reassessment proceedings were not based on valid grounds and did not warrant further consideration.

 

 

 

 

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