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1978 (2) TMI 77 - HC - Income Tax

Issues:
- Validity of attachment order in court auction
- Jurisdiction of civil court in tax recovery matters

Analysis:
The judgment pertains to a civil revision petition challenging an order allowing the raising of an attachment over the amount in court deposit from a property sold in a court auction. The decree-holder, in this case, sought to attach the amount from the sale of the judgment-debtor's property to recover a debt owed under a promissory note. However, the judgment-debtor was also a defaulter in income tax payments, leading to the Tax Recovery Officer serving a notice for tax arrears recovery. The issue arose when the decree-holder attempted to attach the amount in court deposit, which was contested by the Tax Recovery Officer citing the Income-tax Act's provisions. The subordinate judge initially allowed the attachment, but the High Court held that the attachment was invalid due to the provisions of the Income-tax Act. The court emphasized that once a notice under the Act is served, the civil court loses jurisdiction to issue any process against the defaulter's property. As a result, the court deemed the attachment order and subsequent proceedings as void for lack of jurisdiction, ultimately setting aside the attachment order.

Furthermore, the court highlighted that despite the sale of the property in court auction being set aside in a separate order, the attachment order needed to be set aside as well. The judgment clarified that the auction-purchaser would be entitled to a refund of the amount in court deposit if the sale was set aside. It was emphasized that the income tax department retained the right to pursue its remedies independently. The court concluded by stating that no costs were awarded in this matter, bringing an end to the legal dispute regarding the validity of the attachment order and the jurisdiction of the civil court in tax recovery cases.

 

 

 

 

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