S. 271(1)(c) : Penalty – Concealment – Loan against property -Interest capitalized – Inadvertently claimed in the return as deduction – Levy of penalty is not valid .
S. 271(1)(c) : Penalty – Concealment – Loan against property -Interest capitalized – Inadvertently claimed in the return as deduction – Levy of penalty is not valid .
S. 271(1)(c) : Penalty – Concealment – Not specifying a specific charge – Levy of penalty is not valid .[ S.69B]
S. 271(1)(c) : Penalty – Concealment – Recording of satisfaction-Failure to state specific charge of penalty —Penalty deleted . [ S.274 ]
S.271(1) ( c): Penalty — Concealment of income —Addition on basis of which penalty levied was deleted – Penalty will not survive .
S. 271(1)(c) : Penalty – Concealment – Gratuity and exhibition expenses – Genuineness of expenses not doubted -Failure to deduct tax at source- Levy of penalty is held to be not justified .
S. 263 : Commissioner – Revision of orders prejudicial to revenue –
Interest on Arbitration Award reduced while computing taxable income — Offering income in the year of receipts – Revision is held to be not valid [ S.4, 145 ]
S. 254(2A): Appellate Tribunal –Stay- No case made out for stay of demand – Irreparable loss and financial difficulties — Stay petition dismissed [ S.254(1)]
S.254(1): Appellate Tribunal – Orders – Period of the first national lock-down from March 25, 2020 to April 19, 2020, when offices were not allowed to be physically opened, was excluded the period within which this order was pronounced was within 90 days.
S. 251 : Appeal – Commissioner (Appeals) – Powers – Remand by Tribunal -Inspector of Income-Tax not competent to issue enhancement notice —Order enhancing income not sustainable [ S. 69C, 251(2) ]
S. 234B : Interest – Advance tax – Failure by payer to deduct tax at source — Interest cannot be imposed.