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1977 (11) TMI 67 - AT - Income Tax
Issues:
1. Levy of penalty under section 271(1)(c) of the IT Act, 1961 for concealment of income.
2. Justification of penalty based on disallowed sales promotion expenses.
3. Burden of proof on the Department to establish concealment of income.
4. Application of legal principles from previous judgments to the current case.
Detailed Analysis:
1. The appeal was filed against the penalty of Rs. 53,035 imposed by the IAC under section 271(1)(c) of the IT Act, 1961 for the assessment year 1968-69. The assessee initially filed an invalid return, followed by another return showing income of Rs. 87,839 after claiming set-off of past losses. The ITO disallowed Rs. 53,035 claimed as sales promotion expenses due to lack of supporting receipts, leading to penalty proceedings for concealment of income.
2. The assessee argued that the expenses were genuine, despite lack of independent evidence, as sales had increased significantly. The IAC rejected the claim, citing denials of receipt from alleged payees. The assessee contended that the commission was paid to employees of key buyers, not the companies mentioned, and relied on past practices and industry norms. The Departmental Representative argued the claim was a device to conceal income, supported by tribunal decisions and legal precedents.
3. The burden of proof lies with the Department to establish concealment of income. The Tribunal noted that findings in assessment proceedings are relevant but not conclusive for penalty proceedings. Lack of evidence beyond the assessee's explanation does not automatically indicate concealment. The Tribunal emphasized that penalty should only be levied if circumstances reasonably point to a false claim.
4. Applying legal principles from previous judgments, the Tribunal found no conclusive evidence of deliberate concealment. Discrepancies in the claim for commission were not proven to be false beyond doubt. The Tribunal distinguished the present case from precedents where deliberate concealment was established. Ultimately, the Tribunal canceled the penalty order, ruling in favor of the assessee based on the lack of conclusive evidence of concealment.