COMMISSIONER OF INCOME-TAX versus SHREE SYNTHETICS LTD.
Whether the reference penalty was permissible in the penalties imposed under section 273 (2) (a) or not, the tribunal found that the department had failed to make advance tax estimates based on fact-based definitions. There is no significant question of law in the Income Tax Act, 1961. , Sections 256 (2) and 273 (2) (AA)
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