Supreme CourtDivision Bench(1992) 10 SC CK 0012

Martin Burn Ltd. vs Commissioner of Income Tax, W.B.

Supreme Court Of India · Decided on 8 October 1992 · Citation: (1992) 108 CTR 71 : (1993) 199 ITR 606 : (1992) 2 SCALE 748 : (1993) 4 SCC 491 Supp : (1993) 68 TAXMAN 346

HON’BLE JUDGES
J. S. Verma, J · A. S. Anand, J
RESULT
Dismissed
CASE NUMBER
Civil Appeal No''s. 901-902 (NT) of 1980

CourtKutchehry membership

More clarity. Every judgment.

Download court copies, explore connected cases and make more of every research session.

Loading membership options…

Ask AI about this case

AI Structured Summary

Not yet generated for this judgment

Judgment

6 paragraphs · 234 words

A.S. Anand, J.—These appeals were filed on a certificate of fitness granted by the High Court of Calcutta vide order dated 29.11.1978 in Income Tax Reference No.292 of 1975.

2.

In a reference u/s 256(1) of the Income Tax Act, 1961, the following question was referred for the opinion of the High Court:

Whether, on the facts and in the circumstances of this case, the Tribunal was justified in law in restoring the appeals once again to the file of the Additional Commissioner of Income Tax, West Bengal-I, Calcutta for passing fresh orders u/s 263 of the Income Tax Act, 1961, after making further investigation?

3.

After detailed discussion, Sabyasachi Mukharji, J. (as His Lordship then was) speaking for the Bench held that the Tribunal had power to make the remand in the manner it had done. The question was answered in the affirmative and in favour of the Revenue.

4.

After hearing learned Counsel for the parties, we are of the opinion that answer rendered by the High Court of Calcutta to the question referred to it is unexceptionable and the view of the High Court is in consonance with the law laid down in Hukumchand Mills Ltd. Vs. Commissioner of Income Tax, Central Bombay and Others, and in Civil Appeal Nos. 2735-36/77 decided on 24.9.1992.

5.

Consequently, both the appeals fail and are dismissed. There shall be no order as to costs.