Case Law β€Ί High Court β€Ί Rakesh Beniyal v. The Income Tax Officer...

Rakesh Beniyal v. The Income Tax Officer (Assessment

High Court 02 Apr 2024 In favour of: Revenue
Forum / Bench
High Court Β· hc_cis_mas
Parties
Rakesh Beniyal v. The Income Tax Officer (Assessment
Date of order
02 Apr 2024
Assessment year(s)
β€”
Outcome
Dismissed

The order β€” as passed by the High Court

Case summary

In Rakesh Beniyal v. The Income Tax Officer (Assessment, the High Court (2024) dismissed the appeal. The decision went in favour of the Revenue.

Summary auto-generated from the order below β€” read the full judgment for the complete reasoning.

Sections referenced in this judgment

IN THE HIGH COURT OF JUDICATURE AT MADRAS DATED: 02.04.2024 CORAM THE HON'BLEMR.JUSTICE SENTHILKUMAR RAMAMOORTHY W.P.No.8865 of 2024 and W.M.P.No.9867 of 2024 Rakesh Beniyal Versus ... Petitioner 1.The Income Tax Officer (Assessment) Ward/Circle-I(I), Ministry of Finance, Nallappa Street, Periyar Nagar, Erode – 638 001. 2.The Superintendent of Police, District Police Office, (Economic Offence Wing) Erode District. 3.The Branch Manager, AXIS Bank, Mettu Nasuvanpalayam Branch, Bhavani, Erode District. 4.The Sub-Inspector of Police, Chitode Police Station, Erode District. ... Respondents Prayer : Writ Petition filed under Article 226 of the Constitution of W.P.No.8865 of 2024 India, pleased to issue a Writ of Certiorari, to call for the records relating to the orders of the first respondent dated 16.02.2024 in DIN-ITBA/AST/F/17/2023-24/1061054700(1) and consequential order passed in DIN-ITBA/AST/S/156/2023-24/1062116100(1) dated 06.03.2024 under Section 147 r/w Section 144 r/w Section 144B of the Income Tax Act, 1961, to quash the same. For Petitioner: Ms. M. E. Rani Selvam For R1 : Dr. B. Ramaswamy, Senior Standing Counsel Senior Standing Counsel For R2 & R4 :M. T.N.C. Kaushik, Additional Government Pleader (Tax)Additional Government Pleader (Tax) ORDER An assessment order dated 06.03.2024 is challenged in this writ petition. 2. The petitioner asserts that a business account (current account) was opened in the petitioner's name in the third respondent bank without the knowledge of the petitioner. According to the petitioner, the alleged escaped income of Rs.1,09,25,580/- was remitted into the said account and that the petitioner has no connection to such remittance. After lodging a W.P.No.8865 of 2024 complaint before the Superintendent of Police, Erode District, and obtaining CSR.No.419 of 2023, the present writ petition was filed. 3.Learned counsel for the petitioner submits that the petitioner was employed as a clerk in a spinning mill and was drawing a meagre salary of Rs.6,000/- per month. She further submits that the transactions that resulted in the re-assessment proceedings were on account of the involvement of one Mr. Prakash Muthuswamy, who was employed as Operation head/branch Manager in the Axis Bank. Learned counsel further submits that the petitioner be granted interim protection until a statutory appeal is filed. 4. Dr.B.Ramaswamy, learned senior standing counsel, accepts notice on behalf of the first respondent and Mr. T.N.C.Kaushik, learned Additional Government Pleader, accepts notice for the second and fourth respondents. 5.By referring to the show cause notice dated 08.12.2023, Dr. B. Ramaswamy, learned senior standing counsel, submits that credits to the W.P.No.8865 of 2024 extent of Rs.1,09,25,580/- and debits to the extent of Rs.51,50,000/- were made in the bank account of the petitioner during the relevant financial year. He further submits that the impugned assessment order was issued after following the procedure in respect of re-assessment by issuing notice under Section 148A(b) order under Section 148A(d) and notice under Section 148 of the Income Tax Act, 1961. Therefore, he submits that no interference is warranted with the impugned assessment order. 6.From the averments in the affidavit in support of the writ petition, it is evident that the petitioner had filed W.P.No.3848 of 2023 earlier. The said writ petition was dismissed. After the assessment order was issued, the present writ petition has been filed. The petitioner contends that a bank account was opened in his name without his knowledge and that transactions in such account resulted in the assessment order. These are disputed questions of fact which cannot be conveniently addressed in proceedings under Article 226 of the Constitution of India. As against the assessment order, a statutory appeal is available to the petitioner. Consequently, no case is made out for interference under Article 226. 6.From the averments in the affidavit in support of the writ petition, it is evident that the petitioner had filed W.P.No.3848 of 2023 earlier. The said writ petition was dismissed. After the assessment order was issued, the present writ petition has been filed. The petitioner contends that a bank account was opened in his name without his knowledge and that transactions in such account resulted in the assessment order. These are disputed questions of fact which cannot be conveniently addressed in proceedings under Article 226 of the Constitution of India. As against the assessment order, a statutory appeal is available to the petitioner. Consequently, no case is made out for interference under Article 226. W.P.No.8865 of 2024 7. For reasons set out above, W.P.No.8865 of 2024 is dismissed by leaving it open to the petitioner to avail of the statutory remedy. However, there shall be no order as to costs. Consequently, the connected miscellaneous petition is also closed. Index : NoSpeaking Order : YesNeutral Case Citation: No 02.04.2024 klt To 1.The Income Tax Officer (Assessment) Ward/Circle-I(I), Ministry of Finance, Nallappa Street, Periyar Nagar, Erode – 638 001. 2.The Superintendent of Police, District Police Office, (Economic Offence Wing) Erode District. 3.The Branch Manager, AXIS Bank, Mettu Nasuvanpalayam Branch, Bhavani, Erode District. 4.The Sub-Inspector of Police, Chitode Police Station, Erode District. W.P.No.8865 of 2024 SENTHILKUMAR RAMAMOORTHY,J klt W.P.No.8865 of 2024and W.M.P.No.9867 of 2024 02.04.2024
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