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Tax Penalty Under Sec 271(1)(c) Not Justified by Mere Agreement to Addition Without Evidence of Income Concealment.

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Full Text of the Document

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....Penalty u/s 271(1)(c) - merely because the assessee agreed for addition and accordingly assessment order was passed on the basis of this addition and when the assessee has paid the tax and the interest thereon in the absence of any material on record to show the concealment of income - it cannot be inferred that the said addition is on account of concealment - HC....