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Issues Involved:
The judgment involves the issue of whether the assessee was entitled to claim interest as per the amended provisions of section 214(1A) of the Income-tax Act, 1961. Facts: A return of income was filed on January 24, 1983, resulting in a total taxable income of Rs. 4,86,164 under section 143(3) assessment on July 25, 1983. An appeal was allowed on December 11, 1987, granting a refund of Rs. 3,22,211 with interest under section 214. However, under a subsequent order on December 4, 1989, the interest was withdrawn for the period from April 1, 1980, to July 24, 1983. The Tribunal later allowed the appeal in favor of the assessee. Arguments: The Department argued that the amended section 214 from April 1, 1985, did not apply to the case where the regular assessment was completed on July 25, 1983, and thus the interest granted was incorrect. Findings: The court found no merit in the Department's argument, stating that the amendment to section 214 applies to pending actions and the right to receive interest accrued to the assessee only after the first appellate authority's order was given effect on October 24, 1988. The court held that the amending Act is applicable to the case, as per the provisions of section 214(1A), and ruled in favor of the assessee against the Department. Conclusion: The court answered the question in favor of the assessee and dismissed the appeal with no order as to costs.
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