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1991 (4) TMI 77 - HC - Income Tax

Issues:
1. Whether a question of law arises out of the order of the Income-tax Appellate Tribunal?
2. Whether the concealment of income by the respondent is a question of law?
3. Whether the proviso to Explanation 1, clause (b) of sub-section (1) of section 271 needs to be considered in this case?

Analysis:

1. The judgment revolves around the issue of whether a question of law arises from the order of the Income-tax Appellate Tribunal. The case involves discrepancies in the respondent's income tax return, specifically related to the value of closing stock. The Commissioner of Income-tax imposed a penalty for alleged concealment of income, which was later set aside by the Commissioner of Income-tax (Appeals). The Income-tax Appellate Tribunal also upheld the cancellation of the penalty. The High Court emphasized the distinction between the existence of a question and the answerability of that question, highlighting that the existence of a question does not depend on the presence of an answer. The court concluded that a question about the concealment of income by the respondent does arise from the Tribunal's order under section 254 of the Income-tax Act.

2. The judgment delves into whether the concealment of income by the respondent is a question of law. The court explained that concealment of income is an inference drawn from evidence such as the statements in the income tax return and scrutiny of account books. While concealment of income may seem like a question of fact, it involves a mixed question of law and fact. The court cited various cases to illustrate that a finding of fact may, in reality, be a question of law. In this case, the issue of concealment of income by the respondent is intertwined with the interpretation of statutory provisions, making it a question of law. The application of the proviso to Explanation 1, clause (b) of sub-section (1) of section 271 further solidifies the concealment issue as a question of law.

3. The judgment also addresses the consideration of the proviso to Explanation 1, clause (b) of sub-section (1) of section 271 in determining the concealment of income by the respondent. The court highlighted that the proviso plays a crucial role in deciding the consequence of penalty for concealment. The application of this statutory provision adds another layer to the question of concealment of income, making it a question of law. The court directed the Income-tax Appellate Tribunal to refer a specific question to the High Court under section 256(2) of the Act to address the issue of whether the penalty was leviable under section 271(1)(c) based on the facts and circumstances of the case.

In conclusion, the judgment analyzed the intricacies of the concealment of income issue, emphasizing the legal aspects involved in determining whether a question of law arises from the Tribunal's order. The court's detailed examination of the statutory provisions and previous case law provided a comprehensive understanding of the legal complexities surrounding the assessment of concealment of income in this case.

 

 

 

 

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