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Issues:
1. Liability to pay surcharge on undisclosed income under Section 113 of the Income Tax Act, 1961. Analysis: The judgment by the Gujarat High Court dealt with the issue of whether the assessee is liable to pay surcharge on the amount of tax under Section 113 of the Income Tax Act, 1961. Section 113 was introduced to tax the total undisclosed income of the block period at a rate of 60% from 1st July 1995. The Finance Act, 2002, inserted a proviso stating that the tax under Section 113 shall be increased by a surcharge levied by any Central Act applicable in the assessment year when a search is initiated under Section 132 or a requisition is made under Section 132A. The Tribunal, in its order dated 12th November 2003, concluded that the proviso was not applicable in the relevant assessment year, which was the block period assessment year 1990-91 to 1999-2000. The Tribunal's decision was based on the facts on record, and it was not contested by the appellant revenue that the block period mentioned by the Tribunal was incorrect. Consequently, the High Court found no infirmity in the Tribunal's order and dismissed the appeal, stating that no substantial question of law arises from the case. In conclusion, the judgment clarified the application of surcharge on undisclosed income under Section 113 of the Income Tax Act, emphasizing the importance of the relevant assessment year and the provisions of the Finance Act in determining the liability of the assessee. The decision highlighted the Tribunal's role in interpreting the law based on the facts presented and affirmed the dismissal of the appeal due to the absence of any substantial legal question arising from the case.
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