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Issues:
- Petition seeking a writ of mandamus for criminal proceedings under Income-tax Act - Allegation of illegal property transaction and suppression of purchase money - Inaction by Income-tax Department leading to economic repercussions - Claim of public interest litigation Analysis: The petitioner, claiming to represent a council, sought a writ of mandamus directing authorities to initiate criminal proceedings against certain individuals for alleged offenses under sections 276C(1), 277, and 278 of the Income-tax Act. The petitioner alleged that a property sale agreement was undervalued during registration, leading to the suppression of purchase money. Despite the petitioner informing the Income-tax Department and an inquiry conducted by the tenth respondent, no action was taken by respondents 1 to 4. The petitioner contended that such actions could harm the country's economic condition and sought intervention in the interest of justice, framing the petition as a public interest litigation. The court, however, dismissed the petition, rejecting the arguments presented by the petitioner's counsel. The judge emphasized that transactions between the concerned parties are primarily their own responsibility, and any errors or violations should be addressed by the relevant authorities, not through court intervention. The judge highlighted the existence of various legislative provisions to prevent and address offenses related to taxes and other matters. Referring to precedents, the judge clarified that the dispute between the parties involved in the property transaction should be handled by the Income-tax Department, and the petitioner had no legal standing to seek court intervention through a writ petition. The judge concluded that the matter did not qualify as a public interest litigation and deemed it inappropriate to entertain the petition under the court's extraordinary jurisdiction. Consequently, the writ petition seeking a mandamus for criminal proceedings was dismissed by the court.
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