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1978 (4) TMI 77 - HC - Wealth-tax

Issues Involved:
1. Failure to furnish wealth-tax returns under Section 14(1) of the Wealth-tax Act, 1957.
2. Imposition of penalty under Section 18(1)(a) of the Wealth-tax Act.
3. Applicability of amendments to Section 18(1)(a) by the Wealth-tax (Amendment) Act, 1964, and the Finance Act, 1969.
4. Determination of whether the default in filing returns is a "continuing default" or a "completed offence."
5. Jurisdiction and procedural requirements for imposing penalties.

Detailed Analysis:

1. Failure to Furnish Wealth-tax Returns:
The assessee was required under Section 14(1) of the Wealth-tax Act, 1957, to furnish returns for the assessment years 1963-64 to 1968-69. The assessee failed to do so despite notices issued under Sections 14(2) and 16(4) of the Act. Consequently, the Wealth-tax Officer (WTO) completed the assessments under Section 16(5) of the Act.

2. Imposition of Penalty:
The WTO initiated penalty proceedings under Section 18(1)(a) of the Act for the failure to furnish returns. The penalties were calculated based on the periods of default, which ranged from 28 to 88 months for the respective assessment years. The WTO imposed penalties under Section 18(1)(a)(i) as amended by the Wealth-tax (Amendment) Act, 1964, and the Finance Act, 1969.

3. Applicability of Amendments:
The amendments to Section 18(1)(a) by the Wealth-tax (Amendment) Act, 1964, effective from April 1, 1965, and the Finance Act, 1969, effective from April 1, 1969, changed the computation of penalties. The 1964 Amendment prescribed a penalty of 2% of the tax for every month of default, not exceeding 50% of the tax. The 1969 Amendment set the penalty at 1/2% of the net wealth assessed for every month of default, not exceeding the net wealth assessed.

4. Continuing Default vs. Completed Offence:
The primary issue was whether the failure to file returns constituted a "continuing default" or a "completed offence." The Tribunal held that the default was continuing, and penalties should be calculated for each month of default under the respective amendments. The Tribunal's decision was challenged, and the High Court had to determine the correct interpretation.

5. Jurisdiction and Procedural Requirements:
The assessee argued that no previous approval from the Inspecting Assistant Commissioner (IAC) was obtained by the WTO as required by Section 18(4). However, the court did not entertain this argument as it was not covered by the question referred for opinion.

Judgment Analysis:

Majority Opinion:
The majority held that the default was a "continuing default," and penalties should be calculated based on the law prevailing during each month of default. The penalties for the periods before April 1, 1965, were to be calculated under the original Section 18(1)(a)(i), from April 1, 1965, to March 31, 1969, under the 1964 Amendment, and after April 1, 1969, under the 1969 Amendment.

Minority Opinion:
The dissenting judge opined that the failure to file returns was a "completed offence" on the due date (June 30 of each year) and not a continuing default. Penalties should be imposed based on the law prevailing on the date of default. The amendments should not be applied retrospectively.

Conclusion:
The majority judgment affirmed the Tribunal's decision, holding that the default was continuing and penalties should be calculated under the respective amendments. The dissenting opinion argued for a completed offence approach, applying the law as it stood on the date of default. The court ultimately answered the references in favor of the department, affirming the Tribunal's method of calculating penalties.

 

 

 

 

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