{"id":777,"date":"2023-10-16T23:18:58","date_gmt":"2023-10-16T17:48:58","guid":{"rendered":"https:\/\/enterslice.com\/research\/?p=777"},"modified":"2023-10-16T23:19:00","modified_gmt":"2023-10-16T17:49:00","slug":"penalty-u-s-43-of-black-money-act-is-levied-for-non-reporting-of-overseas-investments-and-not-for-making-investments-from-unaccounted-money","status":"publish","type":"post","link":"https:\/\/enterslice.com\/research\/high-court\/tribunal\/penalty-u-s-43-of-black-money-act-is-levied-for-non-reporting-of-overseas-investments-and-not-for-making-investments-from-unaccounted-money\/","title":{"rendered":"Penalty u\/s 43 of Black Money Act is levied for non-reporting of overseas investments and not for making investments from unaccounted money"},"content":{"rendered":"\n<p><strong>The Mumbai Bench of Income Tax Appellate Tribunal<\/strong> upholds the Commissioner of Income Tax\u2019s order confirming the levy of penalty under Section 43 of the Black Money Act (BMA) for non-disclosure of foreign assets in \u2018Schedule FA\u2019 of ITR.<\/p>\n\n\n\n<p>While considering Assessee\u2019s contention that the assets were not undisclosed assets as the source was explained and the income arising therefrom was offered to tax in the ITR, A Division Judge Bench of <strong>Justice Vikas Awasthy<\/strong> and <strong>Accountant Member Padmavathy S <\/strong>observed that \u201cpenalty under section 43 is levied for non-reporting of overseas investments and not for making investments from unaccounted money. The provisions of section 43 do not provide any room not to levy a penalty even if the foreign asset is disclosed in books since the penalty is levied only towards non-disclosure of foreign assets in schedule FA\u201d.<\/p>\n\n\n\n<p><strong>Advocate B.N. Rao<\/strong> appeared for the Assessee\/Petitioner whereas <strong>Advocate Prakash Kishinchandani <\/strong>appeared for the Revenue\/Respondent.<\/p>\n\n\n\n<p>The brief facts of the cases were that the Assessee made a joint investment (with her husband) in Global Dynamic Opportunity Fund having a 40% share but failed to disclose the said foreign asset in schedule FA of ITR filed for AYs 2016-17 to 2018-19. The Assessee appealed before Revenue but Revenue dismissed the Assesse\u2019s Plea of bona fide error and levied a penalty under Section 43 of the BMA of Rs.10 Lacs for each AY. Further, the Assessee appealed before the Commissioner of Income Tax (CIT) but the same was rejected by CIT. Hence, the Assessee approached the Bench to seek relief.&nbsp;<\/p>\n\n\n\n<p>After considering the submission the Bench noted that the assessee has declared interest income from the foreign investment, sold and capital gain is offered to tax, however did not disclose the foreign asset while filing the return of income.<\/p>\n\n\n\n<p>The Bench stated by the plain reading of <strong>Section 43 of BMA<\/strong> that a person who is resident and ordinarily resident while filing the return of income under <strong>Section<\/strong> <strong>139(1), 139(4), or 139(5)<\/strong> fails to furnish or files inaccurate particulars of investment outside India, then the person is liable for penalty.<\/p>\n\n\n\n<p>The Bench also stated that the disclosure requirement is not only for the undisclosed asset but any asset held by the Assessee as a beneficial owner or otherwise.<\/p>\n\n\n\n<p>Consequently, the Bench rejected the Assessee\u2019s argument that the penalty under Section 43 of BMA can be levied only with respect to undisclosed assets, holding the same to be untenable.<\/p>\n\n\n\n<p>The Bench supported the CIT\u2019s decision by stating that CIT(A) was correct in confirming the penalty since the Assessee did not disclose the foreign asset in ITR Schedule FA.<\/p>\n\n\n\n<p>The Bench further stated while rejecting the Assessee\u2019s alternate plea that non-disclosure of foreign assets in Schedule FA is an inadvertent and bona fide error and, therefore, does not warrant a penalty.<\/p>\n\n\n\n<p>The Bench considers the Assessee\u2019s argument that the levy of penalty under Section 43 is not mandatory but is at the discretion of the Revenue, by virtue of the word \u2018may\u2019 used therein.<\/p>\n\n\n\n<p>The Bench also expressed that even assuming that the Revenue has the discretion to levy a penalty, the Assessee failed to substantiate that the Revenue exercised his discretion extravagantly.<\/p>\n\n\n\n<p>The Bench stated that the Revenue exercised his discretion judiciously by levying a penalty only after examining the facts of the case.<\/p>\n\n\n\n<p>Accordingly, on finding that no material was brought to show that Revenue levied a penalty in an arbitrary and unjustified manner, the Bench dismissed Assessee\u2019s appeals.&nbsp;<\/p>\n\n\n\n<p><strong>Cause Title: Shobha Harish Thawani Vs. Joint Commissioner of Income-tax\u00a0[BMA 01\/Mum\/2023 \/ 2023-Enterslice-47-ITAT-Mum]<\/strong><\/p>\n\n\n\n<p><strong><a href=\"https:\/\/enterslice.com\/research\/wp-content\/uploads\/2023\/10\/Shobha-Harish-Thawani-Vs-Joint-Commissioner-of-Income-tax.pdf\">Click here to read\/download the Order<\/a><\/strong><\/p>\n\n\n<a href=\"https:\/\/enterslice.com\/research\/wp-content\/uploads\/2023\/10\/Shobha-Harish-Thawani-Vs-Joint-Commissioner-of-Income-tax.pdf\" class=\"pdfemb-viewer\" style=\"\" data-width=\"max\" data-height=\"max\"  data-toolbar=\"bottom\" data-toolbar-fixed=\"off\">Shobha-Harish-Thawani-Vs-Joint-Commissioner-of-Income-tax<br\/><\/a>\n<p class=\"wp-block-pdfemb-pdf-embedder-viewer\"><\/p>\n","protected":false},"excerpt":{"rendered":"<p>The Mumbai Bench of Income Tax Appellate Tribunal upholds the Commissioner of Income Tax\u2019s order confirming the levy of penalty under Section 43 of the Black Money Act (BMA) for non-disclosure of foreign assets in \u2018Schedule FA\u2019 of ITR. While considering Assessee\u2019s contention that the assets were not undisclosed assets as the source was explained [&#8230;]<\/p>\n<p><a class=\"btn btn-secondary understrap-read-more-link\" href=\"https:\/\/enterslice.com\/research\/high-court\/tribunal\/penalty-u-s-43-of-black-money-act-is-levied-for-non-reporting-of-overseas-investments-and-not-for-making-investments-from-unaccounted-money\/\">Read More&#8230;<span class=\"screen-reader-text\"> from Penalty u\/s 43 of Black Money Act is levied for non-reporting of overseas investments and not for making investments from unaccounted money<\/span><\/a><\/p>\n","protected":false},"author":4,"featured_media":779,"comment_status":"closed","ping_status":"closed","sticky":false,"template":"","format":"standard","meta":[],"categories":[1,28],"tags":[137],"acf":[],"yoast_head":"<!-- This site is optimized with the Yoast SEO plugin v14.6.1 - https:\/\/yoast.com\/wordpress\/plugins\/seo\/ -->\n<meta name=\"robots\" content=\"index, follow\" \/>\n<meta name=\"googlebot\" content=\"index, follow, max-snippet:-1, max-image-preview:large, max-video-preview:-1\" \/>\n<meta name=\"bingbot\" content=\"index, follow, max-snippet:-1, max-image-preview:large, max-video-preview:-1\" \/>\n<link rel=\"canonical\" href=\"https:\/\/enterslice.com\/research\/high-court\/tribunal\/penalty-u-s-43-of-black-money-act-is-levied-for-non-reporting-of-overseas-investments-and-not-for-making-investments-from-unaccounted-money\/\" \/>\n<meta property=\"og:locale\" content=\"en_US\" \/>\n<meta property=\"og:type\" content=\"article\" \/>\n<meta property=\"og:title\" content=\"Penalty u\/s 43 of Black Money Act is levied for non-reporting of overseas investments and not for making investments from unaccounted money - Enterslice Research\" \/>\n<meta property=\"og:description\" content=\"The Mumbai Bench of Income Tax Appellate Tribunal upholds the Commissioner of Income Tax\u2019s order confirming the levy of penalty under Section 43 of the Black Money Act (BMA) for non-disclosure of foreign assets in \u2018Schedule FA\u2019 of ITR. 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