LAWS(GJH)-1973-12-21

COMMISSIONER OF INCOME TAX Vs. TRINITY TRADERS

Decided On December 06, 1973
COMMISSIONER OF INCOME TAX Appellant
V/S
TRINITY TRADERS Respondents

JUDGEMENT

(1.) THE question which arises to be considered in this reference is whether a declaration made under section 184(7) of the Income -tax Act, 1961, before the expiry of the accounting period is a valid declaration in law. This question arises in the context of the following facts.

(2.) THE respondent -assessee is a partnership firm. The question relates to the assessment of the assessee's income for the assessment year 1967 -68, the relevant accounting period being Samvat year 2022. It is an admitted position that the accounting period ended on 12th November, 1966.

(3.) SUBSEQUENTLY , the Additional Commissioner of Income -tax called for and examined the record of the assessee. During the course of that examination he noted that the declaration dated June 13, 1966, which was filed by the assessee on April 16, 1969, contained some corrections showing that at two places the assessment year was changed from 1966 -67 to 1967 -68. However, at one place no such correction was made with the result that at that place the assessment year was shown as 1966 -67. The Additional Commissioner further found that this declaration was meant for the assessment year 1966 -67, but was utilised by the assessee for the assessment year 1967 -68 by making the above corrections. It is found that two of the partners of the assessee, whose names are already given above, had, by this time, approached the Additional Commissioner under section 264 of the Income -tax Act, 1961. They had made certain statements to the Commissioner, as a result of which the Commissioner's doubt as regards the declaration dated June 13, 1966, was strengthened.