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Issues involved:
The judgment addresses substantial questions of law related to the treatment of amount received under a Deed for restrictive covenant as a Capital Receipt not liable to tax, the finding of the Tribunal regarding the threat posed by the Appellant to the Company's business, the failure of the Tribunal to follow a Special Bench decision, and the Tribunal's obligation to either follow the larger Special Bench decision or refer the matter to a larger Bench. Treatment of amount received under Deed for restrictive covenant: The Tribunal was questioned for not treating the amount received under the Deed for restrictive covenant as a Capital Receipt not liable to tax. The appellant raised concerns about the error made by the Tribunal in this regard, emphasizing the specific nature of the receipt and its tax implications. Finding on threat to Company's business: Another issue raised was the finding of the Tribunal that the Appellant could not be viewed as a threat to the Company's business. The appellant argued that this finding was perverse, contrary to the material on record, and should be set aside based on the facts and circumstances presented during the case. Failure to follow Special Bench decision: The Tribunal was criticized for failing to follow the decision of a Special Bench, citing cases not previously raised or argued during the hearing. This was deemed as contrary to the principle of natural justice and without proper engagement with the appellant, leading to the assertion that the decision was bad in law and should be set aside. Obligation of Tribunal as a Division Bench: Lastly, the issue of the Tribunal sitting as a Division Bench and its obligation to either follow the larger Special Bench decision or refer the matter to a larger Bench was raised. The appellant highlighted the importance of judicial propriety and practice in handling such matters, urging for a proper resolution in accordance with established procedures.
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