Development agreements require legal possession or effective enjoyment for capital gains transfer; permissive possession and deferred consideration de...
Prolonged sterilisation of development rights supports capital-gains treatment, while business-income disallowances cannot govern capital-gains comput...
Additional evidence in transfer pricing dispute leads to fresh examination, while tax deductions, TDS credit, fee and refund interest require verifica...
Category II AIF pass-through taxation preserves non-business income character; investment receipts cannot be reclassified without applying recognised ...
Mutual fund maturity rules require proper rollover, redemption, disclosure, and due diligence; investor gains cannot excuse regulatory breaches or pen...
The ITAT considered levy of penalty u/s 271B for a default related to Tax Audit Report u/s 44AB. The appellant obtained the audit report on time but inadvertently submitted wrong information in the ITR. Tax authorities rejected this explanation, alleging non-compliance with u/s 44AB. However, the auditor confirmed preparing the audit report timely. The ITAT found the penalty unjust as the audit report was obtained within the deadline, and the mistake was due to selecting the wrong column in the ITR. Consequently, the penalty u/s 271B was deemed inapplicable, and the appellant's appeal was allowed.
The ITAT considered levy of penalty u/s 271B for a default related to Tax Audit Report u/s 44AB. The appellant obtained the audit report on time but inadvertently submitted wrong information in the ITR. Tax authorities rejected this explanation, alleging non-compliance with u/s 44AB. However, the auditor confirmed preparing the audit report timely. The ITAT found the penalty unjust as the audit report was obtained within the deadline, and the mistake was due to selecting the wrong column in the ITR. Consequently, the penalty u/s 271B was deemed inapplicable, and the appellant's appeal was allowed.
Note: It is a system-generated summary and is for quick reference only.