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2024 (10) TMI 1086 - AT - Income Tax


Issues:
Penalty under section 271E of the Income Tax Act for cash repayment of a loan.

Analysis:
The appeal was filed against the order of the Commissioner of Income Tax (Appeals) regarding the penalty imposed under section 271E of the Income Tax Act for cash repayment of a loan. The Assessing Officer levied the penalty after the assessee paid an amount in cash towards repayment of a loan, violating section 269T of the Act. The assessee explained the circumstances, but the penalty was still imposed. The Commissioner of Income Tax (Appeals) upheld the penalty, leading to the appeal before the ITAT.

The main contention was whether the cash repayment by the successful bidder in an auction, not by the assessee, constituted a violation of section 271E. The Authorized Representative argued that the penalty was unjustified as the cash was deposited by the successful bidder, not the assessee, and that the penalty was time-barred. On the other hand, the Departmental Representative relied on the decisions of the revenue authorities.

After considering the arguments and evidence, the ITAT found that the successful bidder, not the assessee, made the cash payment towards the loan directly to the financial services company. The ITAT observed that the cash payment was not a violation by the assessee but by the bidder in the auction. Therefore, the ITAT directed the Assessing Officer to delete the penalty, allowing the grounds raised by the assessee.

In conclusion, the ITAT allowed the appeal of the assessee, ruling in favor of deleting the penalty imposed under section 271E of the Income Tax Act for the cash repayment of the loan.

 

 

 

 

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