Delayed payment of admitted refund interest requires compensation where the taxpayer bears no responsibility for the Revenue's retention.
Outstanding statutory refund interest accepted in rectification proceedings remained payable despite a system failure. Where the Revenue admits that interest under Section 244A was short-computed and the assessee is not responsible for delay, it must correct the computation and pay the unpaid amount. A refund, including its interest component, constitutes a debt owed to the assessee; prolonged retention of admitted refund interest requires recompense. Compensation at 6% per annum was payable from 19 April 2022 until payment, notwithstanding the absence of an express provision for interest on unpaid interest.
Issues: (i) Whether the assessee was entitled to the outstanding statutory interest on refund already accepted as correctly claimable in rectification proceedings; (ii) Whether interest or compensation was payable for delayed payment of that outstanding interest.
Issue (i): Whether the assessee was entitled to the outstanding statutory interest on refund already accepted as correctly claimable in rectification proceedings.
Analysis: The Revenue did not dispute that the assessee's claim regarding short computation of refund interest was correct and had been accepted in the rectification order. The non-payment resulted from a system failure, although the amount remained due.
Conclusion: The assessee was entitled to rectification and payment of the outstanding interest of Rs. 3,25,83,819 under Section 244A of the Income-tax Act, 1961.
Issue (ii): Whether interest or compensation was payable for delayed payment of that outstanding interest.
Analysis: The accepted interest remained unpaid for over four years, without any delay attributable to the assessee. A refund due from the Revenue, including its interest component, is a debt owed to the assessee; delayed payment warrants recompense for the Revenue's retention and use of the money. Such recompense is not impermissible merely because it may be described as interest on interest.
Conclusion: The assessee was entitled to interest or compensation at 6% per annum on Rs. 3,25,83,819 from 19 April 2022 until payment.
Final Conclusion: The Revenue must correct the computation, pay the accepted outstanding refund interest, and compensate the assessee for its delayed payment.
Ratio Decidendi: Where refund interest admittedly due under the statutory scheme remains unpaid without fault of the assessee, the Revenue must compensate the assessee for the period of wrongful retention, notwithstanding the absence of an express provision for interest on such unpaid interest.