COMMNR. OF INCOME TAX-I, AHMEDABAD versus GOLD COIN HEALTH FOOD PVT. LTD.

COMMNR. OF INCOME TAX-I, AHMEDABAD versus GOLD COIN HEALTH FOOD PVT. LTD.

Explanation 4 to Section 271(1)(c)(iii) is clarificatory and not substantive; it operates retrospectively and penalty is leviable even if addition of concealed income reduces the returned loss.

Source-derived case information.

Parties
Appellant: COMMNR. OF INCOME TAX-I, AHMEDABAD; Respondent: GOLD COIN HEALTH FOOD PVT. LTD.
Jurisdiction
India
Procedural Posture
Civil Appeal / Final Disposition by Supreme Court
Outcome
Appeals disposed of
Legal Topics
Income Tax Act, 1961, Section 271(1)(c), Levy of Penalty, Explanation 4, Interpretation of Statutes, Retrospective Operation of Statutory Amendments
Taxation Income Tax Act, 1961 Section 271(1)(c) Levy of Penalty Explanation 4 Interpretation of Statutes Retrospective Operation of Statutory Amendments

Source-derived case record

Summary, issues, holding and outcome

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Parties

COMMNR. OF INCOME TAX-I, AHMEDABAD

Appellant

GOLD COIN HEALTH FOOD PVT. LTD.

Respondent

Procedural Posture

Civil Appeal / Final Disposition by Supreme Court

  1. 1 Whether the amendment to Explanation 4 to s.271(1)(c)(iii) by Finance Act, 2002 operates retrospectively for levy of penalty on returned loss
  2. 2 Interpretation of the term 'income' in s.271(1)(c) to include losses
  3. 3 Clarificatory or substantive nature of amendment

Ratio Decidendi

Explanation 4 to Section 271(1)(c)(iii) is clarificatory and not substantive; it operates retrospectively and penalty is leviable even if addition of concealed income reduces the returned loss.

Court Disposition

Appeals disposed of

Orders

  • Explanation 4 to Section 271(1)(c) operates retrospectively and penalty is leviable even where addition of concealed income reduces returned loss.
  • View to the contrary in Virtual Soft Systems Ltd. is overruled.