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1993 (4) TMI 52 - HC - Income Tax

Issues:
1. Whether the Tribunal was justified in deciding the source of money invested in the purchase of bags of potatoes.
2. Whether the decision of the Tribunal is against the provisions of the Voluntary Disclosure of Income and Wealth Act.

Analysis:

Issue 1:
The case involved an unregistered firm's assessment for the year 1971-72, where the Income-tax Officer added undisclosed income for the purchase of bags of potatoes. The assessee claimed the amount was part of a voluntary disclosure made under the Disclosure Act for a previous year. The Commissioner of Income tax (Appeals) and the Appellate Tribunal accepted this claim based on a certificate issued under the Disclosure Act. However, the High Court held that the connecting link between the disclosed income and the undisclosed transaction was not established by the assessee. The Court emphasized the need for evidence to prove the nexus, stating that the finding in favor of the assessee was unsupported. Consequently, the Court ruled in favor of the Revenue, concluding that the investment in the potatoes was not from the disclosed amount.

Issue 2:
Regarding the second part of the question, the Court noted that the assessee did not seek relief under section 8 of the Disclosure Act. As a result, the bar under section 9 of the Act was deemed inapplicable. Given the Court's ruling on the first issue, it determined that the second part of the question did not require consideration. Therefore, the Court did not delve into the potential violation of section 9 of the Disclosure Act. The judgment was concluded with directions for the transmission of the judgment to the Appellate Tribunal, Gauhati, without any order as to costs.

 

 

 

 

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