This Digest of case laws is prepared by KSA Legal and AIFTP from judgements reported in BCAJ, CTR, DTR, ITD, ITR, ITR (Trib), Chamber's Journal, SOT, Taxman, TTJ, BCAJ, ACAJ, www.itatonline.org and other journals
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S. 2(28) : Inspector of Income-tax-Service matters-Technical Assistant-Equal pay scale-In absence of any recommendations of an expert body like Central Pay Commission or Anomalies Committee, CAT could not grant parity in pay scales-Order of CAT is set aside. [Art.226, 227]
DDIT v. Ramesh Dang (2020) 269 Taxman 110 (Delhi)(HC)
S. 271D: Penalty–Takes or accepts any loan or deposit-Loan from partner–Bonafide belief–Levy of penalty is held to be not justified. [S. 269SS, 273B]
Surendra Engg. Corpn. v. JCIT (2020) 180 ITD 708 (Mum.) (Trib.)
S. 263 : Commissioner-Revision of orders prejudicial to revenue- Return of income-Without audit report-Revised return along with audit report-Loss is allowed to be carried forward–Revision is held to be not valid. [S. 44AB, 80, 139(3)]
B.E. Billimoria & Co. Ltd. v. PCIT (2020) 180 ITD 808/ 192 DTR 114/ 206 TTJ 650 (Mum.)(Trib.)
S. 263 : Commissioner-Revision of orders prejudicial to revenue-Issue of shares at premium-Commissioner had neither conducted any enquiry on issue nor recorded finding that assessee’s calculation was unsustainable in law-Revision is held to be bad in law. [S.56(2)(viib), R.11U, 11UA]
Trimex Fiscal Services (P.) Ltd. v. PCIT (2020) 181 ITD 10 (Kol.) (Trib.)
S. 253 : Appellate Tribunal–Delay of 615 days–Health problem– Delay is condoned. [S. 253(3)]
Emsons Organics Ltd. v. DCIT (2020) 180 ITD 762/ 203 TTJ 1(UR) (Chd.)(Trib.)
S. 201 : Deduction at source-Failure to deduct or pay–Interest-Remittance of TDS was made online on prescribed date, credit to Government’s account was instant-No interest could be levied for delay in remitting TDS to credit of Government even if online portal showed a delayed date. [S. 201(IA)]
Moody’s Analytics Knowledge Services (India) (P.) Ltd. v. ITO (TDS) (2020) 180 ITD 804 / 192 DTR 100/ 206 TTJ 646(Bang.)(Trib.)
S. 145A : Method of accounting–Valuation-MODVAT credit does not have any impact on profit of assessee and thus, unutilised MODVAT credit could not be added to value of closing stock.
Mahindra & Mahindra Ltd. v. DCIT (2020) 180 ITD 776 (Mum.)(Trib.)
S. 120 : Jurisdiction of income-tax authorities-Additional Commissioner can function as an AO only when jurisdiction has been assigned to him-No directions or orders assessment order passed by Additional Commissioner was illegal and without jurisdiction. [S. 120(4)(b), 124]
Nasir Ali v. ACIT (2020) 181 ITD 30 (Delhi)(Trib.)
S. 80HHC : Export business–Sale of scrap-Income from such scrap would tantamount to recoupment of cost of raw material/production and, therefore, was includible in profits of business.
Mahindra & Mahindra Ltd. v. DCIT (2020) 180 ITD 776 (Mum.)(Trib.)