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2024 (11) TMI 690 - AT - Income Tax


Issues:
Levy of late fee u/s.234E for delay in TDS return submission prior to 01.06.2015.

Analysis:
The appeal pertains to the levy of late fee u/s.234E for delay in submitting TDS return before 01.06.2015. The appellant contested the authority of the DCIT to impose such fees under section 200A, arguing that the Finance Act, 2015 introduced this provision prospectively from 01.06.2015. The Tribunal noted that the issue to be decided was whether the Revenue was justified in levying the late fee u/s.234E before 01.06.2015.

The facts revealed that the TDS return for Quarter-2 of FY 2012-13 was filed on 15.01.2013, processed on 21.01.2014, and a fee of Rs. 18,400 was imposed. Despite the appellant's absence during the hearing, the Departmental Representative supported the fee imposition. The Tribunal observed that the issue of fee u/s.234E had been extensively addressed in prior Tribunal decisions. Notably, the Finance Act, 2015 made the provision applicable only from 01.06.2015 onwards.

Citing various judicial precedents, including decisions by the Kerala High Court and previous Tribunal cases, the Tribunal concluded that the fee u/s.234E could not be imposed for periods before 01.06.2015. The Tribunal held that the Revenue authorities were empowered to charge the late fee only for defaults occurring after 01.06.2015. Consequently, the Tribunal overturned the order and deleted the Rs. 18,400 fee imposed u/s.234E, ruling in favor of the assessee based on the established legal principles and precedents.

In light of the above analysis, the Tribunal allowed the appeal of the assessee, emphasizing that the fee imposition was not valid for the period in question. The order was pronounced on November 13, 2024, with the Tribunal ruling in favor of the appellant and deleting the late fee levied u/s.234E.

 

 

 

 

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