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2025 (5) TMI 1181 - HC - Income Tax


1. ISSUES PRESENTED and CONSIDERED

The core legal questions considered by the Court in this appeal were:

  • Whether the delay of six to seven years in filing the appeals before the Income Tax Appellate Tribunal (ITAT) could be condoned on the ground of "sufficient cause" as per the principles governing limitation and condonation of delay under the Income Tax Act and the Limitation Act.
  • Whether negligence or mistake on the part of the professional advocate engaged by the appellant company constitutes sufficient cause for condonation of delay in filing appeals.
  • Whether the appellant company demonstrated bona fide and reasonable grounds to justify the inordinate delay in instituting the appeals before the ITAT.
  • Whether the impugned order of the ITAT refusing to condone the delay and dismissing the appeals as time barred was legally sustainable.
  • Whether any substantial question of law arises from the impugned order warranting interference by the High Court under Section 260A of the Income Tax Act.

2. ISSUE-WISE DETAILED ANALYSIS

Issue 1: Whether the delay of six to seven years in filing appeals before ITAT could be condoned as "sufficient cause"

Relevant legal framework and precedents: The Court examined the principles relating to condonation of delay under Section 5 of the Limitation Act and relevant income tax provisions. It referred to authoritative precedents including the Supreme Court's decision in Director of Income Tax (International Taxation) Vs. Western Union Financial Services, Collector, Land Acquisition, Anantnag Vs. Katiji, Manoharan Vs. Sivarajan, and various High Court decisions. The settled legal principle is that the expression "sufficient cause" should be construed liberally to advance substantial justice, provided the delay is not due to deliberate inaction, mala fide, or gross negligence by the appellant.

Court's interpretation and reasoning: The Court noted that while liberal construction is mandated, each case must be examined on its facts and circumstances. The delay in the present case was extremely long-ranging from six to seven years-which is far beyond a few days or months typically condoned. The Court distinguished the present facts from cases where delay was short or where appeals were initially filed in time but delayed due to procedural defects or technical reasons.

Key evidence and findings: The appellant company had engaged an advocate who failed to appear before the CIT (A), resulting in ex parte dismissal of appeals. Subsequently, the same advocate failed to file appeals before the ITAT within the prescribed time, causing the delay. The appellant only engaged new counsel after discovering this failure years later. The affidavit of the original advocate admitted to the delay caused by ignorance and negligence of his office staff.

Application of law to facts: The Court found that the delay was not due to any external or unavoidable cause but due to gross negligence and lethargy of the appellant and its counsel. The appellant was aware of the CIT (A) orders but did not take due care to monitor the filing of second appeals. The delay was inordinate and unexplained sufficiently to merit condonation.

Treatment of competing arguments: The appellant argued that the delay was caused by professional negligence and that the appellant company should not be penalized for the advocate's failure. It also cited the Covid pandemic period to explain some part of the delay. The Court rejected these contentions, holding that mistake or negligence of counsel alone is not a sufficient ground for condonation of delay, especially when the delay is of several years and the appellant failed to exercise due diligence.

Conclusions: The Court upheld the ITAT's decision refusing to condone the delay, concluding that no sufficient cause was made out for the inordinate delay of six to seven years.

Issue 2: Whether negligence or mistake of the advocate constitutes sufficient cause for condonation of delay

Relevant legal framework and precedents: The Court relied on precedents which clarify that negligence of counsel is not automatically sufficient cause for condonation of delay. The Court referred to Manimandir Sewa Nyas Samiti Ramgarh Ayodhya Vs. CIT where the Supreme Court held that delay of years requires careful scrutiny and that the assessee must watch its own affairs.

Court's interpretation and reasoning: The Court emphasized that the appellant company, being a corporate entity, was expected to exercise reasonable care in monitoring the progress of its appeals. The mere fact that the advocate failed to file the appeals timely does not absolve the appellant of responsibility, especially when the delay was inordinate and unexplained for years.

Key evidence and findings: The affidavit of the advocate admitted failure due to ignorance of office staff, but the appellant did not show any proactive steps to inquire about the status of appeals during the long delay.

Application of law to facts: The Court applied the legal principle that delay caused by negligence of counsel may be condoned if the appellant acts promptly upon discovering the delay and shows bona fide. Here, the appellant delayed for years before engaging new counsel and filing the appeals, which militated against condonation.

Treatment of competing arguments: The appellant's plea of professional negligence and pandemic-related delay was rejected as insufficient to explain the inordinate delay.

Conclusions: The Court held that negligence of counsel, without more, does not constitute sufficient cause for condonation of delay, particularly when the appellant company failed to exercise due diligence for several years.

Issue 3: Whether the impugned order dismissing the appeals as time barred was legally sustainable

Court's interpretation and reasoning: The Court found that the ITAT had considered the appellant's reasons and evidence carefully and found the explanations unsatisfactory. The ITAT's conclusion that there was gross negligence and lack of bona fide on the part of the appellant was supported by the record.

Application of law to facts: The Court observed that the appellant was aware of the CIT (A) orders but did not inquire about the second appeals' status, thus displaying lethargy. The delay was not due to any unavoidable circumstance but due to inaction and negligence.

Treatment of competing arguments: The appellant's contention for condonation was rejected after weighing the facts against precedents advocating liberal but not unqualified condonation.

Conclusions: The Court found no infirmity in the ITAT's order and held that dismissal of appeals as time barred was legally sustainable.

Issue 4: Whether any substantial question of law arises warranting interference under Section 260A

Court's interpretation and reasoning: The Court observed that the appeal raised no substantial question of law but was essentially an appeal against the factual finding of delay and sufficiency of cause for condonation.

Conclusions: No substantial question of law was made out, and the appeal was dismissed accordingly.

3. SIGNIFICANT HOLDINGS

The Court preserved the following crucial legal reasoning verbatim from the ITAT and Supreme Court precedents:

"It was otherwise the duty of the assessee to watch the affairs of its firm and delay of few days or months can be considered, but delay of years is required to be examined minutely."

"There is no general proposition that mistake of counsel by itself is always a sufficient ground. Every case is required to be considered on the basis of facts and circumstances of the case."

"The expression 'sufficient cause' as appearing in Section 5 of Limitation Act should receive liberal construction, when the delay is not on account of any dilatory tactics, want of bonafides, deliberate inaction or negligence on the part of the appellant, in order to advance substantial justice."

Core principles established include:

  • The principle of liberal construction of "sufficient cause" for condonation of delay is subject to bona fide and reasonable explanation for delay.
  • Negligence or mistake of counsel is not ipso facto sufficient cause for condonation, especially when delay is inordinate and unexplained.
  • Corporate entities are expected to exercise due diligence in monitoring their legal proceedings and cannot shift responsibility entirely to their legal representatives.
  • Long delays measured in years require stringent scrutiny and are not to be condoned lightly.

Final determinations on each issue were:

  • The delay of six to seven years in filing appeals was not condonable as sufficient cause was not established.
  • Negligence of the advocate did not constitute sufficient cause for condonation in the facts of this case.
  • The ITAT's dismissal of appeals as time barred was legally valid and sustainable.
  • No substantial question of law arose for interference by the High Court under Section 260A.

 

 

 

 

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