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1980 (7) TMI 131 - AT - Income Tax

The appeal was against a penalty of Rs. 500 under s. 273(a). The assessee argued that no penalty was due as they had filed an estimate under s. 212(3a) and lacked information on their share in the firm. The tribunal agreed, canceling the penalty as the estimate was not considered untrue. The appeal was allowed.

 

 

 

 

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