Employee stock-shortage penalties do not constitute consideration for services, preventing GST collection under Schedule II in employment relationship...
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Capacity-utilisation adjustments under TNMM can neutralise substantiated COVID-related idle costs where underutilisation materially affects profitabil...
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ITAT upheld penalty proceedings under section 271D against the assessee for accepting cash loans during FY 2016-17. Evidence from seized documents and statements of Sachin Nahar confirmed cash loans provided to Mantra Properties. The authorized representative failed to rebut the evidence during cross-examination. Despite CIT(A)'s earlier deletion of addition, ITAT ruled that concrete evidence existed through incriminating documents detailing cash loans, interest payments, and corroborative statements. The tribunal determined the penalty was justified, allowing the revenue's appeal and reinstating the penalty levied by JCIT/Addl.CIT under section 271D.
ITAT upheld penalty proceedings under section 271D against the assessee for accepting cash loans during FY 2016-17. Evidence from seized documents and statements of Sachin Nahar confirmed cash loans provided to Mantra Properties. The authorized representative failed to rebut the evidence during cross-examination. Despite CIT(A)'s earlier deletion of addition, ITAT ruled that concrete evidence existed through incriminating documents detailing cash loans, interest payments, and corroborative statements. The tribunal determined the penalty was justified, allowing the revenue's appeal and reinstating the penalty levied by JCIT/Addl.CIT under section 271D.
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