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1988 (1) TMI 83 - AT - Income Tax

Issues:
Appeal against penalty order under section 271(1)(c) of the IT Act, 1961 for assessment year 1973-74.

Detailed Analysis:

1. The appellant contested the penalty of Rs. 98,000 imposed under section 271(1)(c) for concealing income. The original assessment was set aside by CIT(A) due to disallowed deduction. Subsequently, in arbitration, the appellant was awarded Rs. 2,21,880. The ITO disallowed the claim, leading to the penalty.

2. The ITO justified the penalty under the Explanation to section 271(1)(c), stating the appellant failed to disclose arbitration proceedings and claimed deduction without full disclosure. The CIT upheld the penalty, noting the appellant's failure to provide a valid reason against the Explanation.

3. The appellant argued that the amount was already deducted by FCI and the arbitration award was implemented by the ITO. They also claimed lack of jurisdiction due to penalty exceeding Rs. 25,000 without IAC's approval, citing a case precedent.

4. The Tribunal found the appellant's non-disclosure of arbitration proceedings to be crucial. Despite the arbitration award exceeding the claimed deduction, the appellant's failure to disclose all facts led to the concealment of income, justifying the penalty under section 271(1)(c).

5. Regarding jurisdiction, the Tribunal noted the mandatory requirement for IAC's approval for penalties over Rs. 25,000. The ITO's failure to obtain prior approval rendered the penalty invalid. The Tribunal ordered the case to be remanded to the ITO for compliance with the statutory requirement.

6. The Tribunal allowed the appeal for statistical purposes, emphasizing the necessity of adhering to procedural requirements for imposing penalties under section 271(1)(c) of the IT Act, 1961.

This detailed analysis provides a comprehensive overview of the issues raised, the arguments presented, and the Tribunal's decision in the case.

 

 

 

 

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