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1996 (3) TMI 21 - HC - Income Tax

Issues:
Imposition of penalty under section 271(1)(c) of the Income-tax Act, 1961 for the assessment year 1967-68.

Detailed Analysis:

The judgment by the High Court of Patna involved a case where the assessee had filed a suit for recovery of money from the Public Works Department, which was decreed in his favor. The decree included interest, which the assessee received in 1967. However, the assessee did not disclose this interest in his income tax return for the assessment year 1967-68. The Income-tax Officer included the interest amount in the assessment as income from other sources, which the assessee accepted without contesting. Subsequently, a penalty under section 271(1)(c) was imposed on the assessee for non-disclosure of the interest amount.

The counsel for the assessee argued that the interest amount should not be considered as income as the decree awarding interest was under appeal, and the interest had not accrued until the appeal was decided. However, the Appellate Tribunal found that the interest was taxable as income in the year it was received, especially since the assessee did not maintain proper accounts and was assessed on a receipt basis. The Tribunal also noted that the assessee had not disclosed the interest in the returns for the relevant years, indicating a lack of intention to disclose the income.

The High Court upheld the penalty imposed on the assessee, stating that the non-disclosure of the interest income was willful or a gross neglect. The Court rejected the argument that the liability regarding the interest amount was in dispute, emphasizing that the assessee had accepted the assessment for that year. The Court also distinguished a previous Supreme Court decision cited by the assessee, concluding that the penalty was correctly imposed.

In conclusion, the High Court ruled in favor of the Revenue, upholding the penalty imposed on the assessee for non-disclosure of interest income for the assessment year 1967-68. The judgment was delivered by D. P. Wadhwa C.J., with agreement from S. J. Mukhopadhaya J.

 

 

 

 

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