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2015 (12) TMI 1507 - HC - Income Tax


Issues:
1. Extension of stay of demand in income tax appeals beyond 365 days under Section 254(2A) of the Income Tax Act, 1961.

Analysis:

Issue 1: Extension of Stay of Demand

The High Court dealt with the challenge to the Tribunal's order extending the stay of demand in income tax appeals beyond the 365-day limit set by the third proviso to Section 254(2A) of the Income Tax Act, 1961. The Court noted that the Tribunal had extended the stay in line with its earlier order and cited precedents like Narang Overseas (P) Ltd. Vs. ITAT and Commissioner of Income Tax Vs. Ronuk Industries Ltd., which had been consistently followed. The Court highlighted that similar decisions had been upheld in various cases like Director of Income Tax vs. M/s. Ingram Micro(India) Exports Pte.Ltd. and others, indicating a settled position against the Revenue's grievance. The Revenue argued for reconsideration based on the introduction of the substituted third proviso to Section 254(2A) post the cited decisions. However, the Court maintained that its previous rulings, even post the amendment, allowed the Tribunal to extend the stay. It emphasized that the Tribunal's power to grant interim relief was essential to ensure effective adjudication, aligning with Supreme Court precedents and the wider powers vested in the Tribunal akin to a judicial body.

The Court further clarified that the rationale behind granting stay or interim relief was to ensure the efficacy of the final relief, preventing a mere "barren success." It referenced the Supreme Court's stance on the Tribunal's powers being similar to those of an appellate Court and the necessity of coextensive powers for interim and final relief. The Court reaffirmed that despite the amendment introducing the substituted third proviso to Section 254(2A), the Tribunal retained the authority to grant interim relief. Additionally, the Court highlighted a Delhi High Court decision striking down certain additional words in the substituted third proviso, emphasizing the ongoing debate on the interpretation and application of the amended provision. Ultimately, the Court dismissed the petitions, upholding the Tribunal's power to extend the stay of demand in income tax appeals even beyond the 365-day limit, in line with established legal principles and precedents.

This detailed analysis of the judgment showcases the Court's thorough examination of the issues involved, the legal principles at play, and the precedents guiding the interpretation and application of the relevant provisions of the Income Tax Act, 1961.

 

 

 

 

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