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2006 (7) TMI 182 - HC - Income Tax

Issues:
1. Dispute over the period for which interest is payable on tax credit under section 244A of the Income-tax Act.

Analysis:
The High Court of Delhi addressed the appeal by the Revenue against the Income-tax Appellate Tribunal's order regarding the assessment year 2002-03. The primary issue was the period for which interest should be payable on the tax credit claimed by the assessee. The assessee filed a revised return claiming a refund of Rs. 4.73 crores due to excess taxes withheld at source. The Tribunal directed payment of interest from April 1, 2002, to July 19, 2004, which was contested by the Revenue.

The Tribunal's decision was based on three key reasons. Firstly, the return was filed within the prescribed time, with no delay attributable to the assessee. Secondly, the Tribunal referred to a Circular by the Central Board of Direct Taxes emphasizing that officers should not take advantage of the assessee's ignorance of their rights. Lastly, the Tribunal found no delay caused by the assessee in the proceedings, as technical objections raised were promptly addressed. The High Court agreed with the Tribunal's reasoning, stating that no substantial question of law arose for their consideration.

The Court emphasized that the assessee's timely actions and lack of delay in the proceedings negated any grounds for interference. The absence of any delay attributable to the assessee, coupled with the fulfillment of legal requirements within the stipulated time, reinforced the conclusion that no substantial question of law merited examination. Consequently, the Court dismissed the appeal by the Revenue, upholding the Tribunal's order for interest payment from April 1, 2002, to July 19, 2004.

 

 

 

 

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