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Issues Involved:
The judgment involves the interpretation of the powers of the first appellate authority in an appeal against an order imposing a penalty u/s 271(1)(c) of the Income-tax Act, 1961, and the extension of the period of limitation u/s 275 of the Act. Interpretation of Powers of First Appellate Authority: The case involved a registered firm penalized for concealment of income without the approval of the Inspecting Assistant Commissioner. The Appellate Assistant Commissioner cancelled the penalty due to the procedural illegality. However, the Tribunal held that the first appellate authority had no power of remand u/s 251(1)(b) of the Act in an appeal against a penalty order. The Tribunal also noted that the period of limitation u/s 275 had expired, and the time taken in appeals could not be excluded. The Tribunal's decision was based on legal precedents like Prabhudayal Amichand v. CIT [1989] 180 ITR 84. Extension of Period of Limitation: The Tribunal's decision was challenged based on the interpretation of the period of limitation u/s 275 of the Act. The Tribunal's view was that the time taken in appeals could not be excluded for extending the limitation period. The Tribunal's decision was further supported by the case of CIT v. Sardarilal Bhasin [1989] 179 ITR 307 (MP), which clarified that the clause in section 275 regarding passing a penalty order was attached only to the initial order, not to orders after remand. Conclusion: The High Court held that the Tribunal's view on the powers of the first appellate authority and the extension of the limitation period was not justified. The Court referred to legal precedents and concluded in favor of the applicant-Department, answering the questions in the negative. The Tribunal was directed to take further action as necessary in accordance with the law.
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