Tax Officers Must Clearly Identify ‘Misreporting’ Under Section 270A
The introduction of Section 270A of the Income Tax Act, 1961, through the Finance Act, 2016, marked a turning point in India’s tax penalty framework. Replacing the older Section 271(1)(c), the new regime introduced a clear distinction between under-reporting and misreporting of income—each carrying different consequences. While under-reporting attracts a penalty of 50% of the […]