Modi Industries Ltd. Etc. Etc. vs Commissioner Of Income Tax
In this landmark judgment, the Supreme Court resolved a long-standing controversy regarding the interpretation of ‘regular assessment’ under section 214 of the Income Tax Act, 1961. The Court held that interest on excess advance tax is payable only up to the date of the original assessment, not extended to revised assessments resulting from appeals. This decision favors the Revenue by limiting interest liability and clarifies that the assessment date is fixed at the initial determination, irrespective of subsequent appellate modifications. The ruling underscores the principle that advance tax loses its ‘advance’ character once the original assessment is made, aligning with the legislative intent to provide certainty in interest computation.
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