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1989 (2) TMI 54

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..... e context of the amendment made therein by the Finance Act, 1964. The assessee, Simco Auto India, declared an income of Rs. 6,197. After the examination of the accounts of the assessee, the Income-tax Officer added a further sum of Rs. 14,600 thereto and penalty proceedings were thereafter initiated against the assessee. A sum of Rs. 14,600 was then imposed as penalty. This penalty was, however, .....

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..... income is the correct income and it is in fact the income of the assessee himself, (ii) that the failure of the assessee to return the correct assessed income was due to fraud, or (iii) that the failure of the assessee to return the correct assessed income was due to gross or wilful neglect on his part. The judgment in Vishwakarma Industries' case [1982] 135 ITR 652 (P H) I FBI, was later .....

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