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2016 (7) TMI 403 - HC - Income Tax


Issues:
- Justification of deleting penalty under section 13 of Interest Tax Act, 1974 based on the decision of Madras High Court
- Whether inaccurate particulars of interest chargeable to Interest Tax Act amount to concealment of interest chargeable

Analysis:
1. The case involved the appellant challenging the impugned judgment by the Income Tax Appellate Tribunal regarding penalty under section 13 of the Interest Tax Act, 1974. The Tribunal had confirmed the order passed by the CIT(A), leading to the present Tax Appeals.

2. The assessment was initially completed against the assessee, who appealed before the CIT(A), and further before the Tribunal. The Tribunal directed the Assessing Officer to verify facts related to interest collection and accounting entries. The Assessing Officer rejected the claim of the assessee for excluding interest tax from chargeable interest, leading to penalty proceedings under section 13 of the Interest Tax Act, 1974.

3. The revenue contended that the interest tax should not be deducted from the total chargeable interest, citing the lack of provisions allowing such deductions. They argued that penalty proceedings were rightly initiated by the Assessing Officer.

4. On the other hand, the assessee's representative argued that the Tribunal correctly upheld the CIT(A)'s order, emphasizing the provisions of Section 13 of the Interest Tax Act, 1974. They supported the Tribunal's decision with sound reasoning.

5. The High Court, after considering arguments from both sides and reviewing the case records, concluded that the penalty levied by the Assessing Officer was unjustified. They noted that the assessee had a genuine belief based on the Madras High Court decision and had expert opinion supporting their claim. The Court found no evidence of furnishing inaccurate particulars of income by the assessee, leading to the decision in favor of the assessee.

6. Consequently, the High Court upheld the Tribunal's judgment, dismissing the present Tax Appeals. The Court found the penalty proceedings under section 13 of the Interest Tax Act, 1974 to be wrongly initiated, ultimately ruling in favor of the assessee in the case.

 

 

 

 

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