Case LawHigh Court › Op/36246/2000 Of M.j.devassia v. Addl.in...

Op/36246/2000 Of M.j.devassia v. Addl.income Tax And Sale Tax Officer

High Court 14 Nov 2007 In favour of: Unclear
Forum / Bench
High Court · highcourtofkerala
Parties
Op/36246/2000 Of M.j.devassia v. Addl.income Tax And Sale Tax Officer
Date of order
14 Nov 2007
Assessment year(s)
Outcome
Other

Case summary

In Op/36246/2000 Of M.j.devassia v. Addl.income Tax And Sale Tax Officer, the High Court (2007) decided the matter.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.

Sections referenced in this judgment

The order — as passed by the High Court

IN THE HIGH COURT OF KERALA AT ERNAKULAM PRESENT : THE HONOURABLE MR. JUSTICE C.N.RAMACHANDRAN NAIR WEDNESDAY, THE 14TH NOVEMBER 2007 / 23RD KARTHIKA 1929 OP.No. 36246 of 2000(M) ----------------------- PETITIONER: ------------ M.J. DEVASSIA, HILL PRODUCE DEALER, PADICHIRA P.O., PULPALLY, WAYANAD DIST. BY ADV. SRI.N.MURALEEDHARAN NAIR SRI.R.MURALIDHARAN (AROOR) RESPONDENTS: ------------- 1. ADDL. AGRICULTURAL INCOME TAX AND SALES TAX OFFICER, SULTHAN BATHERY. SULTHAN BATHERY. 2. STATE OF KERALA, REPRESENTED BY ITS CHIEF SECRETARY, SECRETARIAT, THIRUVANANTHAPURAM. SECRETARIAT, THIRUVANANTHAPURAM. BY GOVERNMENT PLEADER SRI. K.P. PRADEEP THIS ORIGINAL PETITION HAVING BEEN FINALLY HEARD ON 14/11/2007 THE COURT ON THE SAME DAY DELIVERED THE FOLLOWING: ORDER ON CMP 61761 OF 2000 IN OP 36246 OF 2000 DISMISSED14.11.2007SD/-C.N.RAMACHANDRAN NAIR, JUDGE.APPENDIX PETITIONER'S EXHIBITS: EXT.P1 TRUE COPY OF THE APPELLATE ORDER PASSED BY ADDL. APPELLATE ASST.COMMISSIONER II DATED 8.9.1997 FOR THE YEAR 1987-88 EXT.P2 TRUE COPY OF THE REVISED ASSESSMENT ORDER PASSED BY THE FIRSTRESPONDENT DATED 23.9.2000 EXT.P3 TRUE COPY OF THE ORDER CMP 38616 OF 1999 IN OP 23192 OF 1999 DATED 17.9.1999PASSED BY THIS HON'BLE COURT. EXT.P4 TRUE COPY OF THE RECEIPT OF PAYMENT ISSUED BY THE FIRST RESPONDENTDATED 17.11.2000 RESPONDENTS' EXHIBITS: NIL. TRUE COPY P.S. TO JUDGE. C.N. RAMACHANDRAN NAIR, J. -------------------------------------------- O.P. NO. 36246 OF 2000 -------------------------------------------- Dated this the 14th day of November, 2007 JUDGMENT Petitioner is challenging Ext.P2 whereunder turnover tax andinterest thereon are demanded. So far as the challenge against turnovertax is concerned, it is not maintainable as the demand is raised on theturnover from 1.7.1987 to 31.3.1988 which is in accordance withappellate order. Even though interest is not quantified, there is astatement in Ext.P2 that interest will be payable from May, 1988onwards. Counsel has relied on the decision of this Court in O.P.No.23192 of 1999 and contended that no interest could be demanded priorto the actual period of default. Turnover tax in this case is demandedbased on revised assessment issued after assessment was modified bythe Deputy Commissioner in proceedings under Section 35 of theKGST Act. It is seen in Ext.P2 assessment order that assessment wasmade in accordance with Deputy Commissioner's order on 27.1.1995.This order was challenged in appeal and the final revised order isExt.P3. Interest under Section 23(3) is payable for the tax as finally sustained, but from the date of default after service of notice of demand pursuant to assessment order dated 27.1.1995. The assessing officer isdirected to recompute the interest on turnover tax of Rs. 19, 798/- fromthe date of default after service of assessment completed on 27.1.1995.O.P. is disposed of as above. (C.N. RAMACHANDRAN NAIR) Judge
Facing a similar income-tax issue?
Our CA-led litigation team handles notices, scrutiny, penalties and appeals (CIT(A) & ITAT) end-to-end.
✅ File an income-tax appeal (CIT(A)/ITAT) → 💬 Ask our CA
This page reproduces a public-domain court order (Section 52(1)(q)(iv), Copyright Act 1957). Explanations are EaseValue's original analysis. Always read the original order.
Disclaimer: General information only — not legal, tax or professional advice, and no advocate/CA–client relationship is created. AI-generated summaries may contain errors and must be verified against the original court order. EaseValue accepts no liability for reliance on this content. Not a solicitation. Full disclaimer & Terms.
Contact Careers Media / Press · Privacy Terms Refund Cancellation Cookies Disclaimer
© 2026 EaseValue Advisors LLP · LLPIN ACN-4920 · Jaipur, Rajasthan