Commissioner Of Income Tax vs Assam Oil Company Ltd.
In this landmark Calcutta High Court judgment, the Revenue’s application to condone one-day delay in filing a reference was dismissed. The Court held that the Income Tax Appellate Tribunal lacks inherent power to condone delay under the 1922 Act, as Section 5 of the Limitation Act 1963 applies only to ‘Courts,’ not quasi-judicial tribunals. The ruling underscores the strict statutory limitation regime for tax references, emphasizing that condonation requires express legislative authorization. While the underlying substantive issue involved allowability of royalty as revenue expenditure (which the Tribunal had allowed), this proceeding focused solely on the limitation technicality, highlighting the critical importance of procedural compliance in tax litigation.
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