Anil Kumar Sinha vs The Union Of India Another
In this landmark prosecution case, the Patna High Court dismissed challenges to criminal proceedings under Section 276CC for willful failure to file income tax returns post-search. The Court clarified that Settlement Commission immunity from penalty does not bar prosecution for procedural defaults like non-filing of returns. Critical legal principles established include: (1) Prosecution under Section 276CC is independent of penalty immunity; (2) Complaint petitions need not quantify tax evasion for initiating prosecution; (3) The Rs. 3,000/- tax threshold defense is inapplicable to search cases governed by Section 276CCC. This judgment reinforces the department’s authority to prosecute procedural non-compliance even when substantive tax disputes are settled.
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