Penalty imposable despite voluntary surrender, Disclosure to Buy peace of mind not relevant
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Penalty imposable despite voluntary surrender, Disclosure to Buy peace of mind not relevant

Case Law Details

Case Name
MAK Data P. Ltd. Vs. CIT (Supreme Court)
Date of Judgement/Order
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MAK Data P. Ltd. Vs. CIT (Supreme Court) Assessee has only stated that he had surrendered the additional sum of Rs.40,74,000/- with a view to avoid litigation, buy peace and to channelize the energy and resources towards productive work and to make amicable settlement with the income tax department. Statute does not recognize those types of defences under the explanation 1 to Section 271(1)(c) of the Act. It is trite law that the voluntary disclosure does not release the Appellant-assessee from the mischief of penal proceedings. The law does not provide that when an assessee makes a voluntary ...
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