Ratification of resignation acceptance validates separation retrospectively, while withdrawal may be refused through reasoned administrative discretio...
Nature-dependent electricity contracts receive new Ind AS accounting, hedge designation, transition and financial-statement disclosure requirements fr...
Alternative GST remedy permitted protective writ intervention for ex parte adjudication, preserving independent appellate review of input tax credit d...
Assessment against deceased sole proprietor requires proceedings against the legal representative, rendering prior assessment and appellate orders inv...
Residential waste collection classification under SAC 999423 defeats composite-supply exemption where facilitating goods are not transferred to the lo...
Condonation of delay permits statutory appeal restoration where inadequate service explanation prevented consideration of reassessment and taxable-inc...
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Wilful evasion of tax payment requires material showing circumstances and conduct from which a deliberate attempt to avoid payment can be inferred. Although culpable mental state may be presumed, delayed payment within the stipulated period alone does not establish the offence. Where the original assessment was acknowledged as erroneous and later modified, the delay was explained by financial constraints, and payment was made after receipt of a show-cause notice, the material indicates delayed payment rather than a wilful attempt to evade tax. On those facts, prosecution was treated as futile and an abuse of process, and the complaint was quashed.
Wilful evasion of tax payment requires material showing circumstances and conduct from which a deliberate attempt to avoid payment can be inferred. Although culpable mental state may be presumed, delayed payment within the stipulated period alone does not establish the offence. Where the original assessment was acknowledged as erroneous and later modified, the delay was explained by financial constraints, and payment was made after receipt of a show-cause notice, the material indicates delayed payment rather than a wilful attempt to evade tax. On those facts, prosecution was treated as futile and an abuse of process, and the complaint was quashed.
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