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2013 (3) TMI 628 - HC - Income Tax

Issues Involved:
The judgment involves challenges against notices of demand under Section 156 of the Income Tax Act, 1961, specifically focusing on the reduction of the normal period of 30 days to a period of 5 days for certain notices.

Reduction of Notice Period:
The only issue raised by Mr. Parag Tripathi, representing the petitioner, concerns the reduction of the normal 30-day period to 5 days for some notices of demand under Section 156. The petitioner sought leave to raise questions on the merits of the demands separately, which was granted. The Division Bench's decision in Sony India Limited v. Commissioner of Income Tax was cited, emphasizing the provisions of Section 220(1) and the proviso allowing for a reduced payment period under certain conditions.

Interpretation of Section 220(1) Proviso:
The proviso under Section 220(1) permits the Assessing Officer to require payment within a period less than 30 days, subject to the Joint Commissioner's approval if detrimental to revenue. The Division Bench's interpretation highlighted the need for valid reasons and a direct nexus to revenue detriment for reducing the payment period, cautioning against routine or mechanical application. Specific illustrations were provided to demonstrate scenarios where the proviso could be invoked.

Petitioner's Position and Respondent's Justification:
The petitioner argued that none of the circumstances justifying a reduced period applied to their case, refuting claims of intending to evade taxes or transfer funds out of India. The Solicitor General, representing the respondents, cited a document justifying the reduced period based on the petitioner's alleged contumacious default and potential tax avoidance schemes. The petitioner denied these allegations and asserted their intent to challenge the notices legally.

Court's Decision and Next Steps:
The Court issued notice to the respondents for filing counter-affidavits, restraining coercive measures for recovery until the next hearing. Both parties were given deadlines for filing affidavits and rejoinders. The petitioner committed not to transfer funds out of India except in the normal course of business until the next hearing date, emphasizing their compliance with legal remedies against the notices of demand.

Conclusion:
The judgment addressed the contentious issue of reducing the notice period for demands under the Income Tax Act, emphasizing the necessity for valid reasons and a direct nexus to revenue detriment when invoking such provisions. The Court's decision to grant leave for separate proceedings on the demands' merits reflects a commitment to fair and judicious application of tax laws.

 

 

 

 

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