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No Penalty Imposed for Undisclosed Business Income as Voluntary Surrender Not Considered Concealment u/s 271(1)(c.

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....Penalty u/s 271(1)(c) - addition on account of undisclosed business income - In the instant case the assessee himself agreed for surrender, so it was a good case to make the addition, however the said surrender itself cannot be considered as a concealment of particulars of income - No penalty - AT....