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        <h1>Tribunal cancels penalty under IT Act, deems voluntary disclosure valid.</h1> <h3>INCOME TAX OFFICER. Versus SMT. KAILASHBEN R. GAJJAR.</h3> The Tribunal upheld the cancellation of a penalty under section 271(1)(c) of the IT Act, 1961, imposed by the Income Tax Officer on the assessee. The ... - Issues:Validity of initiation of penalty proceedings under section 271(1)(c) of the IT Act, 1961. Merits of the penalty imposed for concealing income and furnishing inaccurate particulars.Analysis:The appeal before the Appellate Tribunal ITAT Ahmedabad-C concerned the cancellation of a penalty under section 271(1)(c) of the IT Act, 1961, imposed by the Income Tax Officer (ITO) on the assessee. The ITO had levied a penalty of Rs. 92,377 for concealing income, which was disclosed in a revised return filed voluntarily by the assessee. The issue arose as the penalty proceedings were not validly initiated according to the CIT(A), who held that the satisfaction of the ITO was not communicated to the assessee. The CIT(A) further found that the Department failed to prove that the undisclosed income was actually earned by the assessee. The Department contended that the penalty proceedings were rightly initiated, citing legal precedents such as Durga Timber Works vs. CIT and Kshetra Mohan Roy vs. ITO. The Department argued that the assessee concealed income by not disclosing it in the original return, even though it was later disclosed voluntarily. The Department also highlighted that no investigation was conducted prior to the revised return being filed by the assessee.The Tribunal analyzed the validity of the penalty proceedings initiation and the merits of the penalty imposed. Referring to legal principles, the Tribunal noted that the satisfaction of the ITO precedes the issue of notice for penalty proceedings. The Tribunal found that the initiation of penalty proceedings in this case was not properly communicated to the assessee, as there was no mention of it in the assessment order for a significant period. The Tribunal also considered the timing of the show cause notice, which was issued after a substantial delay, close to the limitation period for penalty proceedings. On the merits, the Tribunal relied on the judgment in K.M. Bhatia vs. CIT and found that the voluntary disclosure of income in the revised return by the assessee was genuine and complete. The Tribunal emphasized that no investigation was conducted before the revised return was filed, similar to the case in K.M. Bhatia. Ultimately, the Tribunal dismissed the appeal, upholding the CIT(A)'s decision to cancel the penalty, as there was no justification for interfering with it based on the discussions and legal precedents presented.In conclusion, the Tribunal affirmed the decision to cancel the penalty under section 271(1)(c) of the IT Act, 1961, as the initiation of penalty proceedings was not valid and the voluntary disclosure of income by the assessee in the revised return was considered genuine and complete, in line with legal principles and precedents cited during the proceedings.

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