Scope of intermediary status for data hosting services: tribunal finds provider not intermediary, services exported and not taxable, limited remand on...
CENVAT credit availability after omission of Rule 12B in textiles confirmed; late addendum to SCN introducing new grounds held time-barred and invalid...
Export of Wheat Flour and related products subject to online allocation, eligibility criteria, non-transferable six-month authorisations and reporting...
Straight-line lease rental accounting change results in penalty quashed where disclosed accounts and bona fide arguable accounting interpretation exis...
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ITAT held that penalty u/s 272A(1)(d) was leviable only for non-compliance with the main notice u/s 142(1), as the subsequent two communications were mere reminder notices and not independent statutory notices. Since the assessment was framed u/s 144 r.w.s. 144B for AY 2022-23, indicating non-compliance with the primary notice, penalty of Rs. 10,000/- for that default was sustained. However, penalty of Rs. 20,000/- imposed for non-compliance with the two reminder notices was deleted. The assessee's appeal was thus partly allowed, restricting the penalty to Rs. 10,000/-.
ITAT held that penalty u/s 272A(1)(d) was leviable only for non-compliance with the main notice u/s 142(1), as the subsequent two communications were mere reminder notices and not independent statutory notices. Since the assessment was framed u/s 144 r.w.s. 144B for AY 2022-23, indicating non-compliance with the primary notice, penalty of Rs. 10,000/- for that default was sustained. However, penalty of Rs. 20,000/- imposed for non-compliance with the two reminder notices was deleted. The assessee's appeal was thus partly allowed, restricting the penalty to Rs. 10,000/-.
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