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1997 (2) TMI 53 - HC - Income Tax

Issues:
1. Levy of penalty on sale consideration of land
2. Determination of actual sale consideration
3. Vicarious liability of the company for extra income received by managing director
4. Applicability of extra consideration for penalty under section 271(1)(c)
5. Allegation of concealment of real consideration for penalty

Analysis:

Levy of Penalty on Sale Consideration of Land:
The case involves a dispute regarding the levy of penalty under section 271(1)(c) of the Income-tax Act, 1961, on the sale consideration of a land transaction. The Income-tax Officer initiated penalty proceedings after finding that the assessee had deliberately concealed the true income particulars. The penalty was levied, and subsequent appeals upheld the charge, leading to the rejection of the tax case petition by the High Court. The court found that the Appellate Tribunal's conclusion on concealment of income was justified based on the evidence presented, emphasizing that the finding of concealment is a question of fact.

Determination of Actual Sale Consideration:
The dispute also centered around the determination of the actual sale consideration for the land transaction. The Appellate Tribunal found that the actual sale price was Rs. 16,43,539, higher than the amount declared by the assessee. The Tribunal concluded that the assessee had received additional consideration, which was not disclosed in the return of income. This finding was based on seized materials and statements related to the transaction, leading to the confirmation of the penalty for concealment of income.

Vicarious Liability of the Company for Extra Income Received:
The question of vicarious liability arose concerning the extra income allegedly received by the managing director of the company. The Income-tax Officer attributed the entire transaction to the managing director, holding the company accountable for the concealment of income. The Appellate Tribunal upheld this view, emphasizing that the company had knowledge of the additional consideration and failed to disclose it accurately, leading to the imposition of penalty.

Applicability of Extra Consideration for Penalty under Section 271(1)(c):
Another issue raised was whether the extra consideration received by the managing director should be considered for the penalty under section 271(1)(c) of the Income-tax Act. The Appellate Tribunal held that the managing director, acting on behalf of the company, received the additional consideration, making the company liable for the penalty. The Tribunal's decision was based on the company's knowledge of the transaction and its failure to disclose the full consideration in the income return.

Allegation of Concealment of Real Consideration for Penalty:
The final issue revolved around the allegation that the applicant company concealed the real consideration for the land sale, rendering the income liable for penalty. The Appellate Tribunal's findings, based on evidence and witness statements, supported the conclusion that the assessee had concealed the true particulars of income, justifying the levy of penalty under section 271(1)(c) of the Act. The High Court upheld the Tribunal's decision, emphasizing that the concealment of income was a factual determination supported by the evidence on record.

 

 

 

 

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