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Court upholds asset attachment in conflict of interest case under Income Tax Act The court addressed a conflict of interest situation involving judicial transactions with parties and upheld the provisional attachment of assets by the ...
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Court upholds asset attachment in conflict of interest case under Income Tax Act
The court addressed a conflict of interest situation involving judicial transactions with parties and upheld the provisional attachment of assets by the Revenue under Section 281B of the Income Tax Act, 1961. Despite the conflict of interest, the court proceeded with the case as no objections were raised by the counsels. The court found the provisional attachment order to be prima facie warranted in law and directed the petitioner's bank to comply, restraining the release of amounts under the SBLCs until further orders. The Revenue's counsel assured that the actual amounts would be specified in a subsequent order within two weeks.
Issues Involved: 1. Conflict of interest due to judicial involvement in transactions with parties. 2. Provisional attachment of assets by the Revenue under Section 281B of the Income Tax Act, 1961.
Issue 1: Conflict of Interest The judgment addresses a conflict of interest situation where one of the judges on the bench had a transaction with a party involved in the case. It was disclosed that both judges had booked residential flats from a company belonging to the respondent group. Despite this, none of the counsels objected to the bench hearing the matter. The court issued notices to the concerned parties, and the counsel for the revenue and the respondent accepted the notices. Further notices were directed to other respondents, with service to be effected through email by the court.
Issue 2: Provisional Attachment of Assets The petitioner sought a direction for the Revenue to withdraw an order dated 29th/30th November 2016, following a judgment in certain writ petitions. The order restricted the drawings of Standby Letters of Credit (SBLC) to the liability to deduct tax from amounts payable to a specific entity. The court found the impugned order and attachment to be prima facie warranted in law based on a previous judgment. Consequently, the court directed the petitioner's bank to comply with the Revenue's attachment direction and not release any amounts under the SBLCs pending further orders. The revenue's counsel assured that the actual amounts would be indicated in a subsequent order under Section 195 of the Income Tax Act, 1961, within two weeks and until further orders in the proceedings.
In conclusion, the judgment dealt with a conflict of interest issue arising from judicial involvement in transactions with parties and the provisional attachment of assets by the Revenue under Section 281B of the Income Tax Act, 1961. The court addressed the conflict of interest situation transparently and proceeded with the case after receiving no objections from the counsels. Additionally, the court upheld the provisional attachment order, directing the petitioner's bank to comply and not release any amounts under the SBLCs until further orders, pending the Revenue's indication of actual amounts in a subsequent order.
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