Income Disclosure Scheme immunity and search-material requirements barred further share-transaction additions in unabated assessments under section 15...
Toy balloon tariff classification: functional heading prevails over residual rubber and festive article headings, supporting penalties for deliberate ...
Customs valuation using comparable contemporaneous imports can displace declared value, while missing speaking orders require pursuit before competent...
Levy of penalty - non filling up of Part 'B' of the e-Way Bill - existence of mens rea or not The High Court referenced a specific case and highlighted that the issue of non-filling up of Part 'B' of the e-Way Bill was addressed in previous judgments. It emphasized that mere technical errors without intent to evade tax should not lead to penalties. It was reiterated that there was no evidence of mens rea or intent to evade tax on the petitioner's part. Thus, the imposition of penalty under Section 129(3) of the Act was deemed unjustified.
Levy of penalty - non filling up of Part 'B' of the e-Way Bill - existence of mens rea or not The High Court referenced a specific case and highlighted that the issue of non-filling up of Part 'B' of the e-Way Bill was addressed in previous judgments. It emphasized that mere technical errors without intent to evade tax should not lead to penalties. It was reiterated that there was no evidence of mens rea or intent to evade tax on the petitioner's part. Thus, the imposition of penalty under Section 129(3) of the Act was deemed unjustified.
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