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1985 (10) TMI 46 - HC - Income Tax

Issues:
Validity of reassessment under section 147 of the Income-tax Act, 1961.

Analysis:
The judgment delivered by the High Court of Karnataka pertained to the validity of reassessment under section 147 of the Income-tax Act, 1961. The Income-tax Appellate Tribunal, Bangalore Bench, referred a question of law to the court regarding the justification of holding the reassessment under section 147 as not valid in law. The facts of the case involved the assessee not filing returns for the assessment years 1967-68 and 1970-71 within the stipulated time under section 139(1) of the Act. The Income-tax Officer issued notices under section 139(2) for filing returns, which the assessee did not comply with. Subsequently, the Income-tax Officer dropped the proceedings erroneously believing the notices were not served. Reassessment proceedings were later initiated under section 148, and upon completion, the Income-tax Officer made reassessments on March 20, 1974. The Appellate Assistant Commissioner dismissed the appeals filed by the assessee, leading to second appeals before the Tribunal, which ultimately allowed them and canceled the assessments, deeming the reassessment proceedings invalid.

The main contention before the court was whether the reassessment proceedings were valid, considering the termination of the initial assessment proceedings. The court analyzed the use of the term "N.P." by Income-tax Officers to signify the conclusion or termination of assessment proceedings, as established by previous Supreme Court judgments. The court emphasized that the Income-tax Officer had rightfully terminated the assessment proceedings against the assessee, and the failure to make a best judgment assessment under section 144 did not impact the validity of reassessment proceedings under section 147. The Tribunal's error in examining the validity of completed assessment proceedings was highlighted, as it was beyond its jurisdiction to do so.

The court relied on Supreme Court rulings to establish that there was a termination of assessment proceedings, contrary to the argument presented by the assessee. Consequently, the reassessment proceedings initiated and concluded by the Income-tax Officer under section 147 were deemed legal and valid. The court concluded by answering the question referred to them in the negative, in favor of the Revenue and against the assessee, directing each party to bear their own costs.

 

 

 

 

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