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2016 (7) TMI 673 - HC - Income Tax


Issues:
1. Applicability of Section 115JB of the Income Tax Act, 1961 to the assessee.
2. Jurisdiction of the Income Tax Appellate Tribunal under Section 254(2) of the Act for rectification of mistakes apparent from the record.

Analysis:

1. Applicability of Section 115JB:
The case involved a dispute regarding the applicability of Section 115JB of the Income Tax Act to the assessee. The Assessing Officer initially held that Section 115JB was applicable, but due to the higher tax liability under normal provisions, assessed the tax accordingly. The Commissioner of Income Tax (Appeals) upheld this decision, leading to an appeal before the Tribunal. However, the Tribunal, in an earlier order, dismissed the grounds related to Section 115JB as not pressed by the assessee. Subsequently, the Assessing Authority demanded payment under Section 115JB, leading to further appeals. The Tribunal reiterated that the issue had already been adjudicated and could not be re-argued, emphasizing that it had no power to review its own order. The Tribunal dismissed the application seeking rectification of the order, stating that the mistake pointed out did not fall under Section 254(2) of the Act.

2. Jurisdiction under Section 254(2) of the Act:
The appellant sought rectification under Section 254(2) based on the argument that they did not press for an adjudication on Section 115JB due to lack of approval from the Committee of Disputes. However, the Tribunal found that the grounds of appeal in the earlier order did not mention this reason, and since the issue had attained finality, it could not be re-examined. The Tribunal held that the earlier orders had conclusive effect, and the subsequent application for rectification could not be entertained. The Tribunal emphasized that the order did not contain any mistake necessitating rectification under Section 254(2) of the Act. The appeal was dismissed, and pending miscellaneous petitions were also rejected with no order as to costs.

In conclusion, the judgment clarified the finality of decisions made by the Tribunal, the limitations on re-arguing issues already adjudicated, and the scope of rectification under Section 254(2) of the Income Tax Act. The detailed analysis of each issue provided a comprehensive understanding of the legal complexities involved in the case.

 

 

 

 

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