Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases Income Tax Income Tax + AT Income Tax - 1991 (7) TMI AT This

  • Login
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

1991 (7) TMI 143 - AT - Income Tax

Issues:
1. Validity of reopening assessments under section 147(a) based on information received.
2. Denial of under-invoicing and extra profit by the assessee.
3. Challenge to the initiation of action under section 147(a) and disclosure of information.
4. Justification of reassessment and additional profit calculation by the Assessing Officer.
5. Legal arguments regarding the existence of cogent material for reassessment.

Issue 1: Validity of reopening assessments under section 147(a) based on information received

The case involved appeals by the assessee regarding assessments for the years 1979-80 and 1980-81. The assessments were reopened under section 147(a) based on information received from the IAC, Range-XI, Bombay, regarding hawala business in Hing. The Assessing Officer believed that the assessee had under-invoiced Hing sales, leading to tax evasion. The High Court observed that the jurisdiction to reopen an assessment is limited by specific conditions and directed the ITO to examine the material to establish a connection between the alleged evasion and the reasons for reopening.

Issue 2: Denial of under-invoicing and extra profit by the assessee

The assessee denied engaging in under-invoicing or earning extra profit beyond what was assessed. The assessee sold Hing through commission agents, and the Assessing Officer calculated additional profits based on the difference between market and recorded prices. The assessee challenged the initiation of action under section 147(a) and requested information on alleged Hawala agents, which was not provided. The Assessing Officer upheld the validity of the action, leading to reassessment and additional profit calculations.

Issue 3: Challenge to the initiation of action under section 147(a) and disclosure of information

The assessee contested the initiation of action under section 147(a) and requested details on alleged Hawala agents, which were not disclosed due to the confidential nature of income-tax proceedings. The High Court directed the ITO to decide on the validity of reopening the assessment as a preliminary issue. The lack of specific information provided to the assessee raised concerns about the basis for initiating the reassessment.

Issue 4: Justification of reassessment and additional profit calculation by the Assessing Officer

The Assessing Officer justified the reassessment by citing surrendered income from relatives of the assessee and the belief that the assessee under-invoiced Hing sales. Additional profits were calculated based on the difference between market and recorded prices. The CIT(A) upheld the decision, leading to the appeal before the Tribunal. The Assessing Officer's reliance on information from other cases to support the reassessment was contested by the assessee.

Issue 5: Legal arguments regarding the existence of cogent material for reassessment

The assessee argued that there was no cogent material to support the reassessment under section 147(a). The Tribunal found that the reasons provided by the Assessing Officer lacked specific information or statements from relevant parties. The absence of evidence linking the assessee to under-invoicing or extra profits, especially without the involvement of key commission agents, led the Tribunal to conclude that the reassessment was invalid. The Tribunal annulled the reassessments and deemed the additional profit calculations unjustified.

This detailed analysis covers the validity of reopening assessments, the denial of under-invoicing, challenges to the initiation of action, justification for reassessment, and legal arguments regarding the existence of cogent material for reassessment in the context of the case at hand.

 

 

 

 

Quick Updates:Latest Updates