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1988 (8) TMI 8 - HC - Income Tax

Issues:
Challenge to the validity of section 269UD of the Income-tax Act, 1961 regarding property purchase. Claim for payment of balance sale consideration from the Income-tax Department during litigation. Interpretation of section 269UE and 269UF in relation to property vesting. Liability of property owners for litigation costs and consequences. Consideration of public funds and security in property transactions under Chapter XXC of the Act.

Analysis:
The case involves a challenge to the validity of section 269UD of the Income-tax Act, 1961, concerning a property purchase agreement. The writ petitioner contested the provision's validity, leading to a stay order on the sale transaction. The appellants sought payment of the balance sale consideration from the Income-tax Department during the ongoing litigation, citing financial difficulties and pending commitments. The court considered the implications of sections 269UE and 269UF, which govern property vesting in such cases.

The appellants argued that once an order under section 269UD(1) is passed, the property's right, title, and interest vest in the Central Government under section 269UE(1). They claimed entitlement to the sale consideration regardless of the writ petition's outcome, emphasizing their lack of responsibility for the litigation initiated by the purchaser. The court acknowledged the constitutional challenges to Chapter XXC of the Act pending in various courts, highlighting the contingent nature of property vesting under section 269UE.

The court deliberated on the liability of property owners in such situations, emphasizing the need for prudent contractual terms and caution when entering agreements subject to Chapter XXC provisions. It rejected the appellants' claim for immediate payment from public funds, citing risks of non-recovery and potential breach of contract by the purchaser post-litigation. The court underscored the importance of protecting public funds and ensuring proper security in property transactions under Chapter XXC.

Regarding the appellants' reliance on a previous judgment, the court clarified its limited applicability to the present case, emphasizing the specific circumstances involved. Ultimately, the court dismissed the appeal, highlighting that stay orders in property sale agreements do not automatically mandate payment of sale consideration by the Income-tax Department. The judgment underscores the need for caution, adherence to legal provisions, and protection of public funds in property transactions subject to Chapter XXC of the Income-tax Act, 1961.

 

 

 

 

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