SASI ENTERPRISES vs ASSISTANT COMMISSIONER OF INCOME TAX
In this landmark judgment, the Supreme Court of India clarifies the scope of prosecution under Section 276CC of the Income Tax Act for willful failure to file tax returns. The Court decisively rules that prosecution is not contingent upon the finality of assessment proceedings, rejecting the appellants’ argument that pending appeals render complaints premature. It underscores the mandatory nature of return filing under Section 139(1) and the applicability of Section 278E, which presumes culpable mental state, placing the onus on the assessee to disprove willfulness. This ruling reinforces the deterrent intent of tax prosecution provisions, emphasizing that procedural delays in assessment do not immunize non-compliant taxpayers from criminal liability.
SASI ENTERPRISES vs ASSISTANT COMMISSIONER OF INCOME TAX View Full Article Ā»
