Relief for Salary Arrears under Section 89(1) and Reconciliation of Form 26AS
Facts
The Assessee: An individual taxpayer who received salary arrears during the Financial Year 2019-20 (AY 2020-21).
Issue I: Section 89(1) Relief: The Assessee claimed tax relief under Section 89(1) to mitigate the higher tax bracket impact caused by receiving past years’ salary in the current year.
The Dispute: The Assessing Officer (AO) disallowed the relief because Form 10E (the mandatory electronic form for claiming Section 89 relief) was not filed before the due date of the return or within the stipulated timeframe.
Issue II: Income Discrepancy: The AO made an additional tax demand based on a discrepancy between the salary income reported by the Assessee in the return and the figures reflected in Form 26AS (Tax Credit Statement).
The Remand: The Assessee contended that the discrepancy could be explained through evidence, but the AO had made the addition without a detailed reconciliation.
Decision
The Tribunal ruled in favor of the Assessee on the technicality and remanded the factual dispute:
Relief under Section 89(1): The Tribunal held that relief under Section 89(1) is a substantive right provided by the Act to prevent hardship. It cannot be denied merely due to a technical breach, such as the delayed filing or non-filing of Form 10E by the original return due date. The AO was directed to allow the relief despite the procedural delay.
Reconciliation of Form 26AS: Regarding the salary discrepancy, the Tribunal noted that the AO must perform a factual verification. The matter was remanded to the AO with a direction to reconsider the addition by comparing the Assessee’s evidence against Form 26AS, after providing the Assessee a fair opportunity to be heard.
Key Takeaways
Procedure vs. Substance: Procedural requirements (like filing Form 10E) are secondary to substantive tax benefits. If a taxpayer is legally eligible for relief, a delay in filing the supporting electronic form should not result in a permanent loss of that benefit.
Correcting Form 26AS Mismatches: Form 26AS is often treated as the “final word” by the CPC/AO, but it is not infallible. Taxpayers have the right to challenge 26AS figures if they possess contrary evidence (e.g., salary slips, bank statements, or employer certificates).
Actionable Step: If Section 89 relief is denied in an intimation under Section 143(1) due to missing Form 10E, the taxpayer should file the form immediately and seek rectification or appeal, citing this precedent that technical delays are condonable.
Burden of Reconciliation: In remand proceedings for income discrepancies, the burden lies on the taxpayer to provide a “point-to-point” reconciliation between the books and the tax credit statement to successfully delete the addition.
and Rajesh Kumar, Accountant Member
[Assessment year 2020-21]