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Issues Involved:
1. Maladministration by the official liquidator. 2. Payment of interest under Section 220(2) of the Income Tax Act, 1961. 3. Mismanagement and defalcation of funds. 4. Distribution of company assets and income among contributories. 5. Court's power under Section 446(2)(b) of the Companies Act, 1956. Detailed Analysis: 1. Maladministration by the Official Liquidator The judgment highlights the maladministration by the official liquidator, which burdened a solvent estate with unnecessary liabilities, particularly income-tax. The company, Haralal Harendra Lal Roy Estate Ltd., was wound up due to internal disputes among directors and shareholders. The official liquidator failed to manage the company's assets effectively, leading to accumulated income-tax liabilities. 2. Payment of Interest under Section 220(2) of the Income Tax Act, 1961 The official liquidator applied for the condonation of interest payments for the assessment years 1955-56 to 1976-77 under Section 220(2) of the Income Tax Act, 1961. The court noted that the interest became due to the delay in paying income-tax, a statutory liability. The Commissioner of Income Tax referred the matter to the CBDT but directed the Commissioner to seek court permission for charging interest. 3. Mismanagement and Defalcation of Funds The judgment mentions that a significant amount of money was defalcated by the officers and employees of the official liquidator from the rents collected from the company's properties. This defalcation contributed to the lack of funds for paying income-tax liabilities on time. Criminal cases were lodged against some employees involved in the defalcation. 4. Distribution of Company Assets and Income Among Contributories The court had previously ordered the distribution of the company's assets and income among the contributories. However, due to disputes and objections, the properties could not be sold to meet the liabilities. The income from the properties was distributed to the contributories, leaving insufficient funds to pay the income-tax liabilities. The court noted that if the scheme of partition had been implemented, the income-tax liability might not have arisen. 5. Court's Power under Section 446(2)(b) of the Companies Act, 1956 The court exercised its power under Section 446(2)(b) of the Companies Act, 1956, to disallow the claim for interest by the Income Tax authorities. The court noted that the official liquidator's mismanagement and the internecine quarrels among the contributories led to the company's financial difficulties. The court found it unfair and unjust to saddle the company with the interest liability, which would deprive the contributories of their legitimate share. The court directed the Income Tax authorities to condone the payment of interest for the assessment years 1955-56 to 1976-77. Conclusion The court concluded that the interest claim under Section 220(2) of the Income Tax Act, 1961, should be disallowed due to the peculiar and unfortunate circumstances of the case. The official liquidator was directed to pay the costs of the Income Tax department and retain his costs from the funds in his hands. The court's decision aimed to protect the contributories from being penalized for the official liquidator's mismanagement and the internal disputes within the company.
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