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Issues involved: The judgment involves the cancellation of a penalty levied under section 271(1)(c) of the Income-tax Act, 1961 for the assessment year 1964-65, based on the contention of concealment of income versus furnishing inaccurate particulars of income.
Cancellation of Penalty - Department's Contention: The Income-tax Department initiated penalty proceedings under section 271(1)(c) based on the assessee's offer for assessment of peak credit in hundi loans. The Inspecting Assistant Commissioner levied a penalty of Rs. 23,686, which was later cancelled by the Tribunal. The Department argued that the offer for assessment itself justified the penalty, but the Court disagreed. The Court found that the offer for assessment did not amount to an admission of concealment of income, as the assessee maintained the genuineness of the hundi loans despite difficulties in proving them. Validity of Penalty Order - Assessee's Contention: The assessee raised questions regarding the jurisdiction of the Inspecting Assistant Commissioner to levy the penalty after dropping the original penalty proceedings, the nature of the penalty (concealment of income or inaccurate particulars), and the legality of initiating penalty proceedings based on reassessment. The Tribunal upheld the penalty's validity, stating that the Inspecting Assistant Commissioner had the jurisdiction to levy the penalty following reassessment. However, since the Court already ruled out concealment of income as a basis for penalty, it did not address these questions raised by the assessee. This judgment highlights the importance of distinguishing between an offer for assessment and an admission of concealment of income, emphasizing the need for concrete evidence to support penalty levies under section 271(1)(c) of the Income-tax Act, 1961.
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