TMI BlogPenalty u/s 272A(2)(e) - return in this case was filed on 12/07/2017 as late by 2537 days - the assessee...Penalty u/s 272A(2)(e) - return in this case was filed on 12/07/2017 as late by 2537 days - the assessee has filled its return of income declaring the nil income and assessment has also 'been completed at nil income vide assessment order dated 25.12.2017 u/s 143((3)/148 of the Act in the status of educational institution. The assessee was not required to file the return on or before 31.07.2010 and thus, in this way, no penalty could have been imposed u/s 272A(2)(e) - AT ..... X X X X Extracts X X X X X X X X Extracts X X X X
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