Corporate TaxArticle·2 May 2026
Failure to specify the exact limb of Section 270A(9) Vitiates
By J the App
Executive Summary
In a penalty dispute arising from revised income disclosure during assessment, the Tribunal ruled that a generic allegation of “under-reporting due to misreporting” without identifying the precise statutory limb is legally unsustainable.
The absence of a specific charge deprives the assessee of a fair opportunity to respond, rendering the penalty void ab initio. The ruling reinforces procedural precision as a jurisdictional requirement in penalty proceedings.
Tax Domain ; Direct Tax – Income Tax – Corporate tax
Case Details ; The matter was decided by the Income Tax Appellate Tri...
Read the full article in the app
This is a premium article. Download J the App to read the complete content.