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2024 (10) TMI 110 - HC - Income Tax


Issues:
1. Whether the petitioners' prosecution under the Income Tax Act is valid.
2. Whether the petitioners' actions constitute wilful default in making tax payments.

Analysis:
Issue 1:
The petitioners sought relief through a writ to quash a criminal complaint filed against them under Section 276C (2) read with Section 278B of the Income Tax Act. The petitioners argued that they had already paid the self-assessment tax and the tax assessed by the Department before the complaint was filed. The court examined the correspondence between the parties, noting that the petitioners had requested time to pay the assessed tax in installments and had also sought waiver of interest and penalty. Despite the payments made by the petitioners, the Department obtained authorization for prosecution in 2017, based on the self-assessment tax. The court found that the subsequent payments made by the petitioners were not considered, and the complaint filed in 2019 did not mention these payments. The court held that the authorization obtained in 2017 was no longer valid as the petitioners had paid the self-assessment tax in 2017-2018. Therefore, the court quashed the complaint, terming it an abuse of the legal process.

Issue 2:
The court analyzed the concept of "wilful act" under Section 276C and the requirement of establishing mens rea to prove tax evasion. Referring to previous judgments, the court emphasized that mere delayed payment, even if admitted liability is paid subsequently, does not constitute wilful default to evade tax. The court highlighted that there must be a deliberate attempt to evade tax, which was not evident in the petitioners' case. The court found that the petitioners' actions, including filing returns, requesting installment payments, and seeking waiver of interest and penalty, did not amount to wilful default. Considering the payments made by the petitioners before the complaint was filed and the lack of mention of these payments in the complaint, the court concluded that the prosecution against the petitioners was unjustified. As a result, the court quashed the complaint, stating it served no purpose to continue with the legal proceedings.

In conclusion, the court ruled in favor of the petitioners, quashing the criminal complaint against them under the Income Tax Act, citing lack of wilful default and abuse of legal process as grounds for the decision.

 

 

 

 

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