Home
Issues involved: Interpretation of claim under section 80J of the Income Tax Act for a newly constituted firm.
Summary: The High Court of Allahabad considered a case where an assessee-firm, constituted in 1970, failed to claim benefits under section 80J of the Income Tax Act for the assessment years 1972-73 and 1973-74. The Assessing Authority rejected the claim as no relief under section 80J was claimed during the assessment proceedings. The assessee appealed to the Tribunal, which relied on a decision of the Gujarat High Court allowing the claim. However, the Supreme Court in a subsequent case held that without a claim made before the Assessing Officer or supporting material, the relief cannot be entertained. The High Court concluded that the Tribunal was not justified in entertaining the claim for relief under section 80J without a valid claim or supporting material. The court ruled against the assessee, in favor of the department, and awarded costs of Rs. 250. In conclusion, the High Court held that the Tribunal erred in allowing the claim for relief under section 80J without a valid claim or supporting material, as per the decision of the Supreme Court. The court ruled against the assessee and in favor of the department, awarding costs of Rs. 250.
|