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1994 (11) TMI 102 - HC - Income Tax

Issues: Challenge to notice under section 148 of the Income-tax Act for assessment years 1984-85 to 1988-89.

Analysis:
The petitioner challenged the notice issued under section 148 of the Income-tax Act, 1961, for the assessment years 1984-85 to 1988-89, claiming no omission or failure to disclose material facts. The petitioner argued that the notice was a fishing inquiry and showed a change of opinion. The respondent, in the counter-affidavit, revealed that the case was reopened after inquiries by Income-tax Inspectors, supported by reports and annexures. The respondent contended that the notice was valid based on the material on record, indicating escaped income. The respondent highlighted discrepancies in the petitioner's returns, such as interest payments, unutilized borrowed funds for building construction, and misrepresentation of building usage, justifying the notice issuance.

The High Court acknowledged the respondent's reasons for issuing the notice and rejected the petitioner's argument of jurisdictional error. The Court emphasized that the petitioner could contest the reasons before the appropriate authority and present additional facts through an amendment application. The Court refrained from delving into the merits but upheld the validity of the notice under section 148. Consequently, the writ petition was dismissed, with costs imposed on the parties, and the interim order was vacated. The Court directed the petitioner to address the issues raised in the petition before the relevant authority, ensuring a fair opportunity for contestation in accordance with the law.

 

 

 

 

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