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1993 (1) TMI 68 - HC - Income Tax

Issues involved: Challenge to levy and imposition of additional tax u/s 143(1A)(a) of the Income-tax Act, 1961 by the Rajasthan State Electricity Board (RSEB) and the consequent demand of Rs. 7,67,68,717.

Summary:
The RSEB filed its income return for the financial year 1990-91, showing a significant loss. An intimation was issued under section 143(1A)(a) claiming additional tax, which was later revised. The RSEB filed for rectification and revision under sections 154 and 264 of the Income-tax Act, which were pending. The main issue revolved around the interpretation of section 143(1) and (1A) of the Act, particularly whether additional tax could be levied when the total income did not exceed the declared income due to adjustments. The court analyzed the provisions and cited a similar case where it was held that additional tax applies only when adjustments result in an income exceeding the declared amount, not in cases of loss. The Revenue argued for the legality of charging additional tax even in loss cases, drawing parallels with penalty provisions under section 271(1)(c) of the Act. However, the court upheld the interpretation that additional tax can only be charged when adjustments lead to an increase in income beyond the declared amount. As the RSEB had shown a loss and adjustments did not result in increased income, the court allowed the writ petition, quashing the levy of additional tax and related intimation.

This judgment clarifies the conditions under which additional tax can be levied under section 143(1A)(a) of the Income-tax Act, emphasizing that such tax is applicable only when adjustments result in an increase in income beyond the declared amount, not in cases of losses.

 

 

 

 

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