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1975 (7) TMI 10 - HC - Income Tax


Issues Involved:
1. Validity of the notices issued by the Income-tax Officer and the Inspecting Assistant Commissioner.
2. Justification for initiating penalty proceedings against the petitioner.
3. Whether the conditions necessary for the imposition of penalty under Section 271(1)(c) of the Income-tax Act, 1961, were satisfied.
4. Applicability of the Explanation to Section 271(1)(c) in this case.
5. Jurisdiction of the court to interfere with the penalty proceedings under Article 226 of the Constitution.

Detailed Analysis:

1. Validity of the Notices Issued:
The petitioner challenged the validity of two notices: one issued by the Income-tax Officer, Central Circle XXIII, Calcutta, and the other by the Inspecting Assistant Commissioner of Income-tax, Range 1(C), Calcutta. The notices were issued for initiating penalty proceedings under Section 271(1)(c) of the Income-tax Act, 1961, on the grounds that the petitioner had "concealed the particulars of your income or deliberately furnished inaccurate particulars of such income."

2. Justification for Initiating Penalty Proceedings:
The principal grievance of the petitioner was that the conditions necessary for the levy of any penalty and for initiating penalty proceedings were totally absent. The petitioner argued that there was no justification for issuing the notices and starting the penalty proceedings. The petitioner had made full and frank disclosures in its return, including claims for devaluation loss, increased depreciation, and development rebate, which were based on legal contentions and expert advice.

3. Conditions Necessary for Imposition of Penalty:
The court examined whether the conditions laid down in Section 271(1)(c) for the imposition of penalty were satisfied. The section requires that the Income-tax Officer must be satisfied in the course of assessment proceedings that the taxpayer has concealed income or furnished inaccurate particulars. The court found that the petitioner had raised legal contentions based on full disclosure of all particulars and materials. The rejection of these contentions by the Income-tax Officer did not amount to concealment or furnishing inaccurate particulars.

4. Applicability of the Explanation to Section 271(1)(c):
The Explanation to Section 271(1)(c) provides that if the income returned is less than 80% of the assessed income, the taxpayer is deemed to have concealed income unless they prove that the failure to return the correct income did not arise from fraud or gross or willful neglect. The court held that raising legal contentions cannot constitute fraud or gross or willful neglect. Therefore, the Explanation was not applicable in this case.

5. Jurisdiction of the Court under Article 226:
The court considered whether it should interfere with the penalty proceedings under Article 226 of the Constitution. The court has wide powers to intervene in the interest of justice. The court found that the penalty proceedings were being continued on erroneous assumptions of law and that the conditions for the imposition of penalty under Section 271 were non-existent. Therefore, the court held that it was a fit case for intervention to prevent unnecessary harassment to the petitioner.

Conclusion:
The court quashed the penalty proceedings against the petitioner, holding that the conditions necessary for the imposition of penalty under Section 271(1)(c) were not satisfied. The rule was made absolute, and the respondents were prohibited from continuing the penalty proceedings under the impugned notices. No order as to costs was made.

 

 

 

 

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