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The amendment raises the monetary thresholds triggering the maintenance of books and documents for individuals and Hindu undivided families: income threshold increased from one lakh twenty thousand rupees to two lakh fifty thousand rupees, and total sales/turnover/gross receipts threshold increased from ten lakh rupees to twenty five lakh rupees; the change applies from 1 April 2018 for assessment year 2018 19 and onward.
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The amendment raises the deduction ceiling for provision for bad and doubtful debts under section 36(1)(viia)(a) from seven and one-half per cent to eight and one-half per cent of total income (computed before deductions under the clause and Chapter VIA), while retaining the separate ten per cent cap linked to aggregate average advances of rural branches; it applies to specified scheduled, non-scheduled and cooperative banks and takes effect from 1 April 2018 for assessment year 2018-19 onward.
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The annual value of a building and land held as stock-in-trade by a builder or developer shall be taken as nil where the property or any part is not let, for the period up to one year from the end of the financial year in which the certificate of completion is obtained from the competent authority, thereby excluding notional rental income for that post-completion period.
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Cash donation limits for political parties restrict non-bank payments; mandatory tax return filing required for exemption.
Eligibility for political party tax exemption is conditioned on banning donations above a prescribed cash threshold except when received by bank cheque, bank draft, electronic clearing or by electoral bond, and on timely furnishing of the income-tax return for the previous year; electoral bond contributions are excluded from the standard donation-reporting requirement and a statutory definition of electoral bond is introduced.
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Filing requirement for tax exemption: timely income-tax return now mandatory to claim exemptions under sections 11 and 12.
A new clause (c) in subsection (1) of section 12A makes timely filing of the return of income referred to in subsection (4A) of section 139 a condition for claiming exemptions under sections 11 and 12; the amendment applies prospectively from the stated commencement and to the specified assessment year and subsequent years.
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Registration requirement for trusts: amended objects not conforming to original registration must seek fresh 12AA registration within thirty days.
Where a trust or institution registered under section 12AA or earlier section 12A adopts or modifies its objects so they no longer conform to registration conditions, it must apply for registration in the prescribed form and manner within thirty days of such adoption or modification and be registered under section 12AA to qualify for sections 11 and 12 exemptions.
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Corpus-directed contributions are not treated as application of income under income-tax law, limiting trust deductions.
A new explanation excludes from application-of-income treatment any amount credited or paid out of a trust's income when the contribution is made with a specific direction that it shall form part of the recipient trust's corpus, clarifying that such corpus-directed transfers will not count as application of income for charitable or religious purposes while preserving existing rules for accumulated-income transfers.
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SEZ deduction under section 10AA limited to the assessee's computed total income, preventing deduction beyond taxable income.
The amendment inserts an Explanation specifying that the SEZ-unit deduction is to be allowed from the assessee's total income computed under the Income-tax Act before giving effect to that special deduction, and that the deduction shall not exceed such total income; the change is made to address a judicial ruling on the stage of deduction.
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Exemption for foreign company income from sale of leftover crude oil after agreement expiry, subject to notified conditions.
A new clause excludes from total income any income of a foreign company arising from sale of leftover crude oil at an Indian facility after expiry of a government approved storage and sale agreement, subject to conditions to be notified by the Central Government; the amendment is prospective and applies from the designated assessment year.
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Capital gains exemption restriction applies where securities transaction tax not paid on equity share transfers, affecting post acquisition transactions.
Amendment to clause 38 of section 10 denies exemption for income from transfer of a long-term capital asset being an equity share where the acquisition (unless notified otherwise) was entered into on or after 1 October 2004 and the transaction is not chargeable to Securities Transaction Tax under the Finance (No.2) Act, 2004; the change is proposed in the Finance Bill, 2017 and applies retrospectively from 1 October 2004.
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Exemption from capital gains for transfer of land under specified land pooling scheme, applied retrospectively to relevant assessment years.
A new exemption excludes from total income capital gains arising to an individual or Hindu undivided family on transfer of land under the Andhra Pradesh Capital City Land Pooling Scheme, provided the assessee was the owner of the specified capital asset as of the statutory cut-off date; the amendment clarifies the term "specified capital asset" and applies retrospectively to the relevant assessment years.
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Voluntary contributions to corpus not treated as application of income for registered trusts, altering donor tax treatment.
The amendment provides that any amount credited or paid out of income as a voluntary contribution with a specific direction that it shall form part of the corpus of a trust or institution registered under the charitable-registration framework shall not be treated as an application of income for purposes of the entity's objects.
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Exemption for Chief Minister's Relief Fund under income-tax law applied retrospectively to earlier assessment years.
An amendment inserts a new sub-clause to extend income-tax exclusion to the Chief Minister's Relief Fund and the Lieutenant Governor's Relief Fund, aligning their tax treatment with other recognised relief funds and applying the exclusion retrospectively to the assessment years beginning from when deduction provisions for payments to those funds first became operative.

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Analyzing the Threshold for Criminal Prosecution in Cases of Non-Compliance with Income Tax Laws

27 January, 2024

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Deciphering Legal Judgments: A Comprehensive Analysis of Case Law

Reported as:

2023 (11) TMI 761 - MADRAS HIGH COURT

The case under review concerns the petition to quash proceedings related to an offense under Section 276CC of the Income Tax Act, 1961. The petitioner, accused of not filing an income tax return for the assessment year 2012-2013, challenged the initiation of legal proceedings against them. The core of the dispute lies in the interpretation of various provisions of the Income Tax Act, particularly Sections 139, 153A, 271(1)(c), and 276CC, along with the concept of mens rea in tax evasion cases.

Overview of the Petitioner’s Arguments:

  1. Non-Filing of Returns: The petitioner argued that they had already submitted their income tax return on April 18, 2013, for the assessment year 2012-2013, which, if true, would negate the claim of non-filing​​.
  2. Belated Filing and Acceptance of Returns: The petitioner submitted the belated return on November 20, 2015, which was accepted by the Income Tax Department. The petitioner contends that this acceptance negates the presence of mens rea, a necessary element for criminal prosecution​​.
  3. Limitation Period: The petitioner argued that the complaint itself is barred by limitation under Section 468 of the Cr.P.C, as the prosecution was initiated after three years from the alleged date of the offence​​.

The Prosecution's Counterarguments:

  1. Evidence of Tax Evasion: The search conducted on September 3, 2013, revealed unreported transactions and concealment of income, including the purchase of a property for Rs. 45,000,001, which was undervalued at Rs. 25,000,000 in the returns​​.
  2. Failure to File Return in Stipulated Time: Despite receiving a notice under Section 153A of the Income Tax Act, the petitioner failed to file the return within the prescribed 30 days, constituting an offense under Section 276CC​​.
  3. Jurisprudence on Section 276CC: The respondent cited judgments to establish that the failure to file returns within the prescribed time frame, even if followed by a belated return, does not absolve the defaulter from prosecution under Section 276CC​​.

Legal Analysis:

  1. Interpretation of Section 276CC: The primary legal issue revolves around Section 276CC, which penalizes the non-filing of income tax returns within the due date. The Supreme Court precedents make it clear that subsequent filing of returns does not exempt an individual from prosecution under this section​​.
  2. Concept of Mens Rea in Tax Evasion: The petitioner’s argument of lack of mens rea (guilty mind) was countered by the prosecution’s evidence of deliberate concealment of income. The court noted that in cases under Section 276CC, there is a presumption of mens rea, and the burden of proof lies on the accused to establish the contrary​​.
  3. Role of Belated Filing and Acceptance of Returns: While the petitioner argued that the acceptance of the belated return negates mens rea, the court found this argument unpersuasive. The belated filing, in this case, was seen as a post-facto compliance and not as a factor negating the initial intent to evade taxes​​.
  4. Distinction Between Penalty and Prosecution: The court distinguished between the levy of penalties under Section 271(1)(c) and prosecution under Section 276CC. The dropping of penalty proceedings on technical grounds does not automatically lead to the quashing of prosecution for tax evasion​​.

Conclusion: The court, in its judgment, dismissed the petitioner's criminal original petition. The court's reasoning rested on the established principles regarding the interpretation of Section 276CC, the concept of mens rea in tax evasion, and the distinction between administrative compliance (like filing of returns) and criminal culpability under the Income Tax Act. This case underscores the strict approach taken by courts in cases of tax evasion, emphasizing that belated compliance does not necessarily absolve taxpayers from criminal liability, especially when there is evidence of intentional concealment of income.

 


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2023 (11) TMI 761 - MADRAS HIGH COURT

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Acts Income Tax