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2001 PTD 3389

TIN BOX COMPANY vs COMMISSIONER OF INCOME-TAX

Citation2001 PTD 3389
CourtSupreme Court of India
Case No.Civil Appeals Nos.6517 and 6518 of 1997
Date2001-02-27
Judge(s)S. P. Bharucha, N. Santosh Hedge, I. Y. K. Sabharwal
ResultAppeals allowed

ORDER

1. It is unnecessary to go into great detail in these matters for there is a statement in the order of the Tribunal, the fact-finding authority, that reads thus: We will straightaway agree with the assessee's submission that the Income-tax Officer had not given to the assessee proper opportunity of being heard."

2. That the assessee could have placed evidence before the First Appellate Authority or before the Tribunal is really of no consequence for it is the assessment order that counts. That order must be made after the assessee had been given a reasonable opportunity of setting out his case. We, therefore, do not agree with the Tribunal and the High Court that it was not necessary to set aside' the order of assessm ent and remand the matter to the Assessing Authority for fresh assessment after giving to the assessee a proper opportunity of being heard.

3. TWo questions were placed before the High Court, of which the second question is not pressed. The first question reads thus: "(1) Whether, on the facts and in the circumstances of the case, the Tribunal was justified in not setting aside the assessm ent order in spite of a finding arrived at by it that the Income-tax Officer had not given a proper opportunity of hearing to the assessee?"

4. In our opinion, there can only be one answer to this question which is inherent in the question itself: in the negative and in favour of the assessee.

5. The appeals are allowed. The order under challenge is set aside. The assessment order, that of the Commissioner (Appeals) and of the Tribunal are also set aside. The matter shall now be remanded to the Assessing Authority for fresh consideration, as aforestated. No order as to costs. .

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