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Issues involved: Challenge to the levy of penalty u/s.271[1][c] for A.Yrs. 1999-2000 and 2001-02 based on disallowed salary payments to Managing Director as per Shareholders Agreement.
Summary: A.Y 1999-2000 Penalty Amount Discrepancy: - The appeal challenged the penalty amount of &8377; 6,20,064/- but clarified it as &8377; 4,84,167/- due to deletion of penalty for depreciation on vehicle by CIT(A). Disallowed Salary Payments to Managing Director: - The AO disallowed salary paid to Managing Director based on Shareholders Agreement terms. - CIT(A) confirmed the disallowance and imposed penalty u/s.271[1][c] @ 100%. - Assessee argued that the Shareholders Agreement mandated the foreign partner to pay Managing Director's salary. - Assessee appointed its representative as Managing Director due to foreign partner's resignation, with government approval for excess payment. - Tribunal noted genuine payment to Managing Director, approved by government, and no doubt on services rendered. - Tribunal emphasized that disallowance of legitimate claim does not warrant penalty, citing relevant case laws. - Tribunal held that failure to amend Shareholders Agreement due to business necessity does not constitute inaccurate particulars or concealed income. - Penalty was deleted as it was not a fit case for levy. Outcome: - Appeals of the assessee were allowed, and penalty was deleted.
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