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The Appellate Tribunal considered a case where disallowance of Gratuity u/s 43B was made due to a...

The Appellate Tribunal considered a case where disallowance of Gratuity u/s 43B was made due to a discrepancy in classification in the Income Tax Return and tax audit report. The Tribunal held that inadvertent errors in reporting, when details are available in the Return, are bonafide. Deductions based on genuine claims cannot be denied, even if reported in the wrong category. The Tribunal emphasized that legitimate deductions should be allowed to prevent over-assessment, notwithstanding errors by the assessee. Therefore, the Tribunal allowed the assessee's appeal, stating that the incorrect classification in the Return should not lead to denial of a valid deduction u/s 43B. .....

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