Interest Payable to Assessee [Section 244A]

Section 244A governs the payment of interest on income tax refunds to assessees. Below is a detailed breakdown of its provisions, including rates, calculation methods, exceptions, and judicial interpretations:

1. Types of Refunds & Applicable Interest Rates

(A) Refunds from Advance Tax, TDS, or TCS [Section 244A(1)(a)]

  • Applicable to: Excess payment of:
    • Advance tax
    • Tax Deducted at Source (TDS) under Section 199
    • Tax Collected at Source (TCS) under Section 206C
  • Interest Rate5% per month(6% p.a.)
  • Calculation Period:
    • From 1st April of the assessment year(e.g., 1-Apr-2025 for AY 2025-26)
    • To the date of refund grant.

(B) Refunds from Self-Assessment Tax [Section 244A(1)(b)]

  • Applicable to: Excess payment under Section 140A(self-assessment).
  • Interest Rate5% per month(6% p.a.)
  • Calculation Period:
    • From the later of:
      • Date of filing ITR, or
      • Date of tax payment
    • To the date of refund grant.

(C) Other Refunds (e.g., Regular Assessment, Penalties)

  • Interest Rate5% per month(6% p.a.)
  • Calculation Period:
    • From the date of tax/penalty payment
    • To the date of refund grant.

2. Additional Interest for Delayed Appellate Refunds [Proviso to Section 244A]

If a refund arises from an appellate order (e.g., CIT(A), ITAT, High Court) and is delayed beyond the time limit under Section 153(5):

  • Additional Interest3% p.a.(over and above the standard 6%)
  • Period: From the expiry of Section 153(5)deadline to the actual refund date.

3. Exceptions to Interest Payment

  • No interestif the refund amount is <10% of the total tax liability.
  • No interestfor delays attributable to the assessee (e.g., incomplete documentation).

4. Key Judicial Interpretations

  1. Self-Assessment Tax Eligibility:
    • Bombay High Court (in Stock Holding Corporation) ruled that interest is payable on self-assessment tax refunds under Section 244A(1)(b), rejecting the Revenue’s argument that such payments are “gratuitous”.
    • Contrast: Delhi High Court initially held no interest was payable, but this view is minority.
  2. Interest on Interest:
    • Supreme Court (Gujarat Fluoro Chemicals): Clarified that no interest is payable on delayed interest refunds(i.e., no compounding).
  3. Taxability of Interest:
    • For mercantile-system taxpayers, interest accrues yearlyand must be taxed annually (Andhra Pradesh HC).
    • Contrast: Kerala HC held it is taxable only in the year of receipt.

5. Procedural Compliance

  • Automatic Grant: Interest must be paid simultaneously with the refund.
  • Departmental Accountability: Failure to pay interest on time may attract penalties for officers.

Summary Table

REFUND TYPE INTEREST RATE PERIOD EXCEPTIONS
Advance Tax/TDS/TCS 0.5%/month 1-Apr-AY to refund date Refund <10% of tax liability
Self-Assessment Tax 0.5%/month Later of ITR filing or payment date Delays by assessee
Appellate Orders +3% p.a. Post-Section 153(5) deadline delay N/A

For disputes, taxpayers can file grievances or seek writ remedies for undue withholding

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