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Issues: Impugning the order of the Commissioner of Income-tax for rejection of waiver of penalties and interest under section 273A for assessment years 1969-70 to 1978-79 based on the voluntary filing of returns after notices under section 148.
Analysis: The petitioner contested the Commissioner's order rejecting the waiver of penalties and interest under section 273A, citing that the returns were filed voluntarily despite notices under section 148 being issued. The petitioner's assets and liabilities were assessed following a survey, resulting in a total income of Rs. 3,23,935 over ten years. The settlement order accepted by the petitioner acknowledged the leviable penalties and interest. However, the Commissioner's decision was solely based on the non-voluntary nature of the filed returns post-notice issuance. The petitioner provided a timeline showing the filing dates and notice issuance for each assessment year, refuting the Commissioner's claim. The absence of a response from the respondent authorities further supported the petitioner's assertions, leading to the acceptance of the factual premises contradicting the Commissioner's decision. The petitioner also highlighted the failure of the Commissioner to address the waiver claims under section 273A in the impugned order. Consequently, the court allowed the petition, overturning the Commissioner's decision, and directed a fresh review of the case in compliance with the law and the observations made. No costs were awarded in the judgment.
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