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2025 (3) TMI 95 - HC - Income Tax


1. ISSUES PRESENTED and CONSIDERED

The primary issues considered in this judgment include:

1) Whether the rejection of the petitioner's application under Section 119(1) of the Income Tax Act by the CBDT was justified.

2) Whether the relief sought by the petitioner could be granted by invoking the extraordinary writ jurisdiction under Article 226 of the Constitution of India.

2. ISSUE-WISE DETAILED ANALYSIS

Issue 1: Justification of Rejection under Section 119(1)

Relevant Legal Framework and Precedents: Section 119 of the Income Tax Act empowers the CBDT to issue orders, instructions, or directions for the proper administration of the Act. The provision allows for relaxation of certain provisions to avoid genuine hardship. The court referenced several precedents, including judgments from the Supreme Court and High Courts, emphasizing the power of the CBDT to grant administrative relief and address genuine hardship.

Court's Interpretation and Reasoning: The court found that the CBDT's rejection of the petitioner's application was arbitrary and not in alignment with the powers vested in it under Section 119. The court noted that the CBDT failed to consider the genuine hardship faced by the petitioner due to the fraudulent actions of its former management.

Key Evidence and Findings: The court highlighted the fraudulent activities of the petitioner's former management, which led to inflated income figures and excess tax payments. It was established that the petitioner company was a victim of fraud, and the Board was unaware of the true financial status.

Application of Law to Facts: The court applied the principles of real income and genuine hardship, determining that the petitioner was entitled to relief under Section 119 due to the fraudulent circumstances that led to incorrect tax assessments.

Treatment of Competing Arguments: The respondents argued that the CBDT's decision was justified due to ongoing criminal proceedings and the finality of assessments. However, the court found these arguments unpersuasive, emphasizing the need for a fair reassessment based on actual income.

Conclusions: The court concluded that the rejection of the application under Section 119 was unjustified and that the petitioner was entitled to a reassessment of its income based on revised financial statements.

Issue 2: Relief under Article 226

Relevant Legal Framework and Precedents: Article 226 of the Constitution empowers High Courts to issue directions, orders, or writs to enforce fundamental rights and for any other purpose. The court referenced precedents where writ jurisdiction was invoked to correct injustices and provide relief when statutory authorities failed to act justly.

Court's Interpretation and Reasoning: The court reasoned that the extraordinary jurisdiction under Article 226 was appropriate to address the injustice faced by the petitioner due to the fraudulent assessment of income.

Key Evidence and Findings: The court relied on the comprehensive evidence of fraud and the subsequent financial adjustments made by the petitioner to correct its financial statements.

Application of Law to Facts: The court applied the principles of justice and equity, finding that the petitioner was entitled to relief under Article 226 to ensure a fair reassessment of its tax liabilities.

Treatment of Competing Arguments: The respondents contended that the relief sought was beyond the scope of the Income Tax Act and that reopening settled assessments was impermissible. The court rejected these arguments, emphasizing the need to address the genuine hardship caused by the fraud.

Conclusions: The court concluded that the relief sought by the petitioner could be granted under Article 226, allowing for a reassessment of its income based on revised financial statements.

3. SIGNIFICANT HOLDINGS

The court held that the rejection of the petitioner's application under Section 119 was arbitrary and illegal, and that the petitioner was entitled to a reassessment of its income for the relevant assessment years.

Verbatim Quotes of Crucial Legal Reasoning: "The order dated 11.07.2011 passed by respondent No.1 as a consequence is set aside / quashed being arbitrary, illegal and violative of Section 119 of the Income Tax Act."

Core Principles Established: The court established that the CBDT has the power to provide relief in cases of genuine hardship and that assessments based on fraudulent income figures can be reassessed to reflect actual income.

Final Determinations on Each Issue: The court determined that the petitioner's application under Section 119 should have been granted and that the relief sought under Article 226 was justified. The court ordered a reassessment of the petitioner's income based on revised financial statements, excluding fictitious sales and interest income.

 

 

 

 

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