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Issues involved: Recovery of money, loan transaction exceeding Rs. 20,000, compliance with Section 269-SS of the Income Tax Act, 1961, validity of loan transaction, applicability of Sections 271-D and 273-B of the Act.
Recovery of Money: The respondent filed suits for recovery of money from the petitioner, alleging a loan transaction of Rs. 50,000 with agreed repayment terms. The trial court decreed the suit in favor of the respondent, ordering repayment with interest. Loan Transaction exceeding Rs. 20,000: The petitioner contended that the loan transaction exceeding Rs. 20,000 was contrary to Section 269-SS of the Income Tax Act, 1961, making it illegal and unenforceable. The petitioner argued that this non-compliance disentitled the respondent from recovering the loan amount. Compliance with Section 269-SS: Section 269-SS of the Act mandates certain requirements for loan transactions to counteract tax evasion. The court noted that while the section imposes penalties for non-compliance, it does not render all transactions above Rs. 20,000 as illegal. The purpose is to curb black money, and penalties can be waived for genuine reasons under Section 273-B. Validity of Loan Transaction: The court emphasized that not all cash transactions exceeding Rs. 20,000 are automatically void. Citing legal provisions and precedents, it highlighted the importance of proving reasonable cause for non-compliance and the discretionary power to waive penalties. Applicability of Sections 271-D and 273-B: Section 271-D imposes penalties for contravention of Section 269-SS, while Section 273-B provides for exceptions and discretionary powers in case of genuine transactions. The court stressed that penalties can be mitigated based on bonafide reasons, ensuring that transactions are not declared illegal solely due to technical non-compliance. Conclusion: The court rejected the petitioner's contentions, upholding the trial court's decision on the recovery of money. It found no legal infirmity in the judgments, emphasizing the importance of proving reasonable cause for non-compliance with tax provisions. The revision petitions were deemed without merit and were consequently rejected.
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