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Case Law Details

Case Name : PCIT Vs Soorajmul Nagarmull (Calcutta High Court)
Appeal Number : ITAT/46/2020
Date of Judgement/Order : 23/11/2022
Related Assessment Year :
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PCIT Vs Soorajmul Nagarmull (Calcutta High Court)

What are the parameters to consider the cessation of liability to be taxed u/s 41(1) of the Income-tax Act,1961 and relation with the limitation Act 1963?

The Division bench of Calcutta High Court in this case even though was not satisfied about the grounds for condonation of 627 days delay in filing the appeal , was not inclined to dismiss Section 260A appeal on technical ground in view of important question of law involved in this appeal where the ITAT had allowed assessees’ appeal regarding addition of Rs 12.63 crore u/s 41(1) in respect of interest payable appearing under the head current liability.

The assessee interalia contended that the liability continued to exist and was shown as such year after year and the burden was on the department to prove that it had ceased. It also relied on the decisions of Supreme Court in the case of Sugauli Sugar Works Pvt ltd , Kesaria Tea.

The court appreciating the fact that the creditors were examined by the AO when they appeared in response to summon and the liability was acknowledged held that  the law is very clear that the limitation act cannot be pressed into service in such cases as the expiry of the period of limitation prescribed under the Limitation Act would not extinguish the debt but, would only prevent the creditor from enforcing the debt, has been well settled.

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