JUDGEMENT
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(1.) HEARD learned counsel for the parties.
(2.) LEARNED counsel Mr. Jain submits that whether there was a reasonable cause or not, it is (not) question of fact.
We do not agree with Mr. Jain on this point. The facts in the case in hand are that for the earlier year 1978-79, the return was filed on 20th June, 1980. That was belated and penalty under S. 271
(1)(a) was imposed.
Now the reason given for filing of the late return in the year concerned on 24th July, 1980, as the
earlier returns were not filed, therefore, the return in this year could not be filed.
(3.) WHEN the penalty under S. 271(1)(a) was imposed in the earlier year i.e., 1978-79 holding that there was no justified reason for not filing of the return in time when in the earlier year there was
no reasonable cause for delay in filing the return, no benefit of that mistake or default can be given
in the year under consideration i.e., 1979-80.;
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