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15. The contents of the tax audit report suggest that there is no
question of the assessee concealing its income. There is also no
question of the assessee furnishing any inaccurate particulars. It
appears to us that all that has happened in the present case is that
through a bona fide and inadvertent error, the assessee while
submitting its return, failed to add the provision for gratuity to its
total income. This can only be described as a human error which
we are all prone to make. The calibre and expertise of the assessee
has little or nothing to do with the inadvertent error. That the
assessee should have been careful cannot be doubted, but the
absence of due care, in a case such as the present one, does not
mean that the assessee is guilty of either furnishing inaccurate
particulars or attempting to conceal its income.