Tribunal grants relief to Company, deletes penalty for concealed income under section 271AAA The Tribunal allowed the appeal of a Private Limited Company against a penalty imposed under section 271(1)(c) for concealing income. The company ...
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Tribunal grants relief to Company, deletes penalty for concealed income under section 271AAA
The Tribunal allowed the appeal of a Private Limited Company against a penalty imposed under section 271(1)(c) for concealing income. The company initially filed a revised return showing additional income after a survey under section 133A. The penalty was contested, arguing for relief under section 271AAA based on the director's disclosure during post-search proceedings. The Tribunal considered the director's disclosure of the total amount for the group during the search and concluded that section 271AAA should apply. As a result, the penalty was deleted, and the appeal was allowed.
Issues involved: Appeal against penalty u/s 271(1)(c) for concealment of income.
Summary: The appellant, a Private Limited Company, filed revised income showing additional amount not offered in the original return after a survey u/s 133A. The AO levied penalty u/s 271(1)(c) on the unaccounted income. The CIT(A) upheld the penalty stating that the case was not covered u/s 271AAA as the return was filed before the search. The appellant argued for relief u/s 271AAA based on director's disclosure during post-search proceedings. The Tribunal noted the director's disclosure of total amount for the group during search and concluded that provisions of 271AAA should apply. The penalty was deleted, and the appeal was allowed.
In detail, the appellant, engaged in manufacturing and trading activities, filed a revised return showing additional income not offered initially, based on expenses found during a survey. The AO imposed a penalty u/s 271(1)(c) for concealment of income. The CIT(A) upheld the penalty, stating that the case did not fall u/s 271AAA as the return was filed before the search. The appellant argued for relief u/s 271AAA, citing the director's disclosure during post-search proceedings. The Tribunal observed the director's disclosure of the total amount for the group during the search and concluded that provisions of 271AAA should apply, deleting the penalty and allowing the appeal.
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