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1978 (7) TMI 23 - HC - Income Tax

Issues involved: The judgment addresses the legality of penalties imposed under section 271(1)(a) of the Income Tax Act, 1961, in relation to delays in filing returns and the determination of penalty amounts.

Question 1: The court referred to a previous decision and ruled in favor of the department, stating that the penalty imposed under section 271(1)(a) was legal when interest under the proviso to section 139(1) was levied.

Question 2: Citing another precedent, the court held that the penalty imposed under section 271(1)(a) was legal even when the return of income was filed within the time allowed under section 139(4).

Question 3: The court analyzed whether the penalty imposed under section 271(1)(a) was legal in a case where the assessee's conduct was not found to be contumacious in delaying the filing of the return. The court emphasized that the section does not require proof of contumacious or dishonest conduct, but rather the absence of a reasonable cause for the delay.

Question 4: The court referred to a Supreme Court decision and concluded that it was legal to determine the amount of penalty under section 271(1)(a) as a proportion of the tax inclusive of additional surcharge levied by the Compulsory Deposit Scheme, 1963.

The judgment detailed a case where a penalty was imposed on the assessee for a delay of 9 months in filing the return under section 139(1) of the Income Tax Act, 1961. The court highlighted that the imposition of penalty under section 271(1)(a) does not require a finding of contumacious or dishonest conduct, but rather the absence of a reasonable cause for the delay. The court referenced various legal principles and previous decisions to support its conclusion that mens rea is not a necessary element for imposing penalties under tax statutes. The judgment also mentioned Full Bench decisions that aligned with the court's interpretation of the law. Ultimately, all questions referred were answered in favor of the department, and no costs were awarded.

 

 

 

 

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