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1994 (2) TMI 30 - HC - Income Tax

Issues:
Violation of section 269SS of the Income-tax Act, 1961 - Liability of partners for accepting cash payments - Misuse of powers by Income-tax Officer - Partnership deed terms and liability of sleeping partners.

Analysis:
The judgment pertains to a complaint filed against a registered firm and its partners for contravening section 269SS of the Income-tax Act, 1961 by accepting cash payments. The Income-tax Officer alleged that the partners accepted cash amounts in violation of the Act. The partners contended that the violation was no longer penal post-April 1, 1989, and the complaint was a misuse of power. However, the court held that the contravention occurred in 1988, when the section was in effect, allowing prosecution for past actions despite subsequent amendments. The partners' argument of non-liability due to the repeal of section 276DD was dismissed.

The partners further argued that as per the partnership deed, certain partners were sleeping partners and not involved in the business conduct. They cited a precedent where partners not directly responsible were not held criminally liable. However, the court differentiated the present case, noting the complaint alleged all partners were directly connected and responsible for the firm's business. The court emphasized that such claims must be proven with evidence and not solely based on partnership deed terms. The court found the complaint prima facie valid and dismissed the petition to quash it, stating no grounds for dismissal were established.

In conclusion, the judgment upholds the complaint against the firm and its partners for violating section 269SS of the Income-tax Act, 1961. It clarifies that partners can be held liable for past contraventions despite subsequent amendments to related sections. The court emphasizes the need for evidence to determine partners' actual involvement in business conduct, dismissing the petition to quash the complaint based solely on partnership deed terms.

 

 

 

 

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