JUDGEMENT
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(1.) IN these three appeals, the common question arises as such
being decided by the common judgment. The question posed tor
consideration is, whether the appellants' are entitled to invoke the
provisions contained in Section 215A (b) of the Income Tax Act, 1961,
hereinafter referred to as the Act to approach Income-tax Settlement
Commission by taking benefit of the period of limitation prescribed for
the purpose of proceedings under Section 147 of the said Act, that is to
say, period of six years limitation available in case of income
escaping assessment under Section 149 of the Act for initiating the
proceedings.
(2.) THE appellants Outotec Group of companies filed settlement applications dated 29th June, 2010 under Section 245(1)of the Act
before the Income-tax Settlement Committion in respect of assessment
years 2004-3005 2009-2010. The said Commission vide Order dated
2nd July, 2010 allowed the applications to be proceeded with and forwarded the applications to the Director of Income Tax (International
Taxation) and called for report under Section 245D(2B) of the Act. The
objections filed by the Revenue to the said applications having been
rejected by the Orders dated 2.7.2010, 11.8.2010 and 21.1.2011,
Revenue came up before the single Judge by way of filing writ
applications.
The single Judge interpreting the provisions contained in Section 245A of the Act, has held that the benefit of the period of
limitation prescribed for initiating proceedings and for issuing notices
under Section 148 of the Act cannot be granted to the appellants/petitioners interpreting the provisions contained in Section 245A of the
Act.
(3.) HOWEVER , the other part of the order/finding as to whether the Returns were filed or not, a case would be deemed to be pending but
only for 21 months from the end of the assessing year in question, has
not been questioned by either of the parties and, as such, as prayed we
are not examining the correctness of the aforesaid finding of the learned
single Judge.;
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