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Case Law Details

Case Name : Shivansh Infraestate Pvt. Ltd Vs (ITAT Lucknow)
Appeal Number : ITA No.121 to 125/Lkw/2022
Date of Judgement/Order : 26/07/2022
Related Assessment Year : 2014-15
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Shivansh Infraestate Pvt. Ltd Vs (ITAT Lucknow)

ITAT find that it is undisputed fact that the assessee has been charged late fee u/s. 234E for various returns filed in the Form-26Q for late filing of the statements. These cases relate to Assessment Year 2014-15. The various Hon’ble High Courts including the Hon’ble Karnataka High Court and Hon’ble Kerala High Court have held that the provisions of Section 234E are applicable w.e.f. 01.06.2015.

The Hon’ble Kerala High Court in the case of United Metals vs. ITO TDS,137 com 115 (Kerala) has also held similarly and the Lucknow bench of the Tribunal in the case of Dr. Saumya Singh vs. ACIT in ITA No. 793, 794 and 795/Lkw/201 7 has also recorded similar findings.

In view of these facts and circumstances and following the precedents relied on by the assessee, the appeals filed by the assessee are allowed.

FULL TEXT OF THE ORDER OF ITAT LUCKNOW

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