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2014 (12) TMI 853 - HC - Income Tax


Issues Involved:
1. Validity of the transfer of cases to DCIT, Central Circle, Chandigarh.
2. Compliance with principles of natural justice.
3. Adequacy of show-cause notices.
4. Jurisdiction and procedural irregularities.

Detailed Analysis:

1. Validity of the Transfer of Cases:
The petitioners, all income tax assessees, challenged the transfer of their cases to DCIT, Central Circle, Chandigarh. They contended that they were entitled to a fair hearing and that the principles of natural justice were not complied with, as the material forming the basis of the show-cause notices was not disclosed to them. The respondents argued that the transfer was necessary for coordinated investigation and assessment, involving financial dealings interlinked with other assessees.

2. Compliance with Principles of Natural Justice:
The court examined whether the principles of natural justice were adhered to during the transfer process. It was found that the reasons provided in the impugned order were not the same as those in the show-cause notices. The court emphasized that every person has the right to know the case they are required to meet, and any material used against them must be disclosed. The respondents failed to provide the relevant material during the investigation and inquiry, causing serious prejudice to the petitioners.

3. Adequacy of Show-Cause Notices:
The court scrutinized the show-cause notices issued to the petitioners. It was found that the notices did not mention certain allegations that were later included in the impugned order. The court held that the show-cause notices must set out in detail the various acts of commission and omission to afford the petitioners an effective opportunity to respond. The notices issued were deemed inadequate and an empty formality, as they did not disclose the real material upon which the proposed action was based.

4. Jurisdiction and Procedural Irregularities:
The court distinguished between lack of jurisdiction and irregular exercise of jurisdiction. It was held that while the respondent had the jurisdiction to decide the case, the omission to confront the assessees with the material in possession and the reliance on extraneous material rendered the impugned order procedurally irregular. The court referenced several precedents emphasizing the necessity of providing specific and intelligible reasons in show-cause notices to ensure compliance with principles of natural justice.

Conclusion:
The court quashed the impugned order dated 14.07.2014, citing non-compliance with principles of natural justice and the inadequacy of the show-cause notices. The respondents were directed to commence the proceedings afresh, strictly in accordance with the law, and provide the petitioners with an opportunity to respond to all relevant material and allegations. The petitions were disposed of, with parties bearing their own costs.

 

 

 

 

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