2003-VIL-03-SC-DT

Equivalent Citation: [2003] 260 ITR 82 (SC)

Supreme Court of India

Date: 16.01.2003

TN CIVIL SUPPLIES CORPORATION LIMITED

Vs

COMMISSIONER OF INCOME-TAX

For the Appellant : A. K. Ganguly, Senior Advocate (V. Krishna Murthy Advocate)
For the Respondent : R. P. Bhat, Senior Advocate (Preetesh Kapur , Amit Mahajan and B. V. Balram Das, Advocates)

BENCH

Mrs. Ruma Pal And B. N. Srikrishna JJ.

JUDGMENT

The question which had been referred to the High Court under section 256(1) of the Income-tax Act, 1961, read as follows:

"Whether, on the facts and in the circumstances of the case, the Appellate Tribunal was right in holding that the Commissioner of Income-tax had no jurisdiction under section 263 to revise an order passed by the Income-tax Officer with the approval of the Inspecting Assistant Commissioner under section 144B?"

The power to revise orders of the Income-tax Officer under section 263 of the Income-tax Act, 1961, was sought to be limited by the appellant-assessee by contending that the phrase "order passed by the Income-tax Officer" in section 263 excluded those orders passed by the Income-tax Officer pursuant to the directions of the Inspecting Assistant Commissioner under section 144B which was then included in the Act.

The High Court in its decision has followed its earlier decision in which it had referred to and relied upon the reasoning of several other High Courts on the same issue to negative the contentions of the assessee.

Given the uniformity of interpretation by the several High Courts, it would not be appropriate to interfere with the decision of the High Court.

In any event we are of the view that having regard to the subsequent amendments to the Act issued from time to time there was no scope for limiting the phrase "order passed by the Income-tax Officer" in section 263 to exclude orders passed by the Income-tax Officer on the directions of a superior authority either under section 144A or 144B.

The appeals are accordingly dismissed with no order as to costs.

 

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