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Issues Involved:
The judgment involves issues related to the status of the assessee being adopted as AOP, chargeability of interest u/s 234B and 234C of the Act, and the penalty levied u/s 271(1)(c) of the Act. Status of Assessee as AOP: The issue raised by the assessee in ground No.1 in ITA No. 1228/Chd/2010 pertains to the status of the assessee being adopted as AOP. The Tribunal noted that the issue stands covered against the assessee based on previous orders and legal precedents. The Tribunal upheld the order of CIT(A) in assessing the assessee under the status of AOP, dismissing the ground raised by the assessee. Chargeability of Interest u/s 234B and 234C: The issue raised in ground No.2 in ITA No. 1228/Chd/2010 concerns the chargeability of interest u/s 234B and 234C of the Act. The Tribunal deemed this issue as consequential and subsequently dismissed the same. Penalty u/s 271(1)(c) of the Act: In ITA No. 1229/Chd/2010, the appeal of the assessee is against the penalty levied u/s 271(1)(c) of the Act. The Assessing Officer had imposed a penalty on the assessee for furnishing inaccurate particulars of income by claiming its status as a local authority, which was not accepted. The CIT(A) upheld the penalty imposed. The Tribunal considered the arguments presented by both parties. The assessee contended that its claim, though incorrect, did not warrant the penalty as it was a bonafide claim. The Tribunal agreed with the assessee, stating that the mere rejection of a claim does not amount to furnishing inaccurate particulars of income. Citing legal precedents, the Tribunal held that the assessee was not liable for the penalty u/s 271(1)(c) of the Act. Consequently, the Tribunal directed the Assessing Officer to delete the penalty levied, allowing the grounds of appeal raised by the assessee. In conclusion, the appeal of the assessee in ITA No. 1228/Chd/2010 was dismissed, while the appeal in ITA No. 1229/Chd/2010 was allowed.
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