THE ASSISTANT COMMERCIAL TAX OFFICER-CUM-ENTERTAINMENT TAX OFFICER versus SHRI NARASIMHAIAH AND ORS.

THE ASSISTANT COMMERCIAL TAX OFFICER-CUM-ENTERTAINMENT TAX OFFICER versus SHRI NARASIMHAIAH AND ORS.

Rule 29-F prescribes a five-year limitation period from the close of the period to which the assessment relates; this allows authorities to reassess escaped turnover for five years preceding November 30, 1976, and not just for periods forward from that date.

Source-derived case information.

Parties
Appellant: The Assistant Commercial Tax Officer-cum-Entertainment Tax Officer; Respondents: Shri Narasimhaiah and Ors.
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal From Division Bench Judgment of Karnataka High Court (w.a. Nos. 1640 1646 of 1985)
Outcome
Appeals allowed
Legal Topics
Entertainment Tax, Reassessment, Limitation Period
Tax Law Entertainment Tax Reassessment Limitation Period

Source-derived case record

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Parties

The Assistant Commercial Tax Officer-cum-Entertainment Tax Officer

Appellant

Shri Narasimhaiah and Ors.

Respondents

Procedural Posture

Civil Appeal / Appeal From Division Bench Judgment of Karnataka High Court (w.a. Nos. 1640 1646 of 1985)

  1. 1 Whether the authorities are empowered to reopen and reassess escaped turnover for periods preceding November 30, 1976 under Section 6-B and Rule 29-F of the Karnataka Entertainment Tax Act and Rules

Ratio Decidendi

Rule 29-F prescribes a five-year limitation period from the close of the period to which the assessment relates; this allows authorities to reassess escaped turnover for five years preceding November 30, 1976, and not just for periods forward from that date.

Court Disposition

Appeals allowed

Orders

  • The authorities are empowered to reassess escaped turnover for the period of five years preceding November 30, 1976 as relating to the assessment in question.
  • No costs.