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2023 (10) TMI 569 - HC - Income Tax


Issues involved:
The judgment involves issues related to the jurisdiction of the Revenue to reassess completed/unabated assessments for the Assessment Years 2010-11 and 2011-12 in the absence of search proceedings yielding any incriminating material.

Comprehensive Details:

Issue A:
The appellant questioned whether the ITAT was correct in deleting the additions made in the assessment order, which were upheld by the CIT (Appeals).

Issue B:
The appellant raised concerns about the ITAT deleting the addition based on the absence of incriminating documents, despite the Assessment being made for the first time.

Issue C:
The appellant challenged the deletion of additions on account of Long term capital gains and commission paid, related to bogus transactions in penny stocks, which were based on information from the investigation wing.

The judgment primarily focused on determining whether the Revenue had the jurisdiction to reassess completed/unabated assessments for the mentioned Assessment Years without any incriminating material found during search proceedings. The Court emphasized that the absence of incriminating material during the search was crucial to assessing the Revenue's jurisdiction. The ITAT's decision, supported by previous court rulings, concluded that without incriminating material, the Revenue lacked the jurisdiction to make additions to completed or unabated assessments. The Supreme Court's interpretation of Section 153A highlighted the necessity of incriminating material for reassessment, providing clarity on the Revenue's powers in such cases. The appellant's references to other court decisions were deemed irrelevant due to the lack of incriminating material in the present case. Ultimately, the judgment dismissed the appeal, favoring the Assessee based on established legal principles and Supreme Court rulings. The Court clarified the application of reassessment proceedings under Sections 147 and 148 of the IT Act, keeping all contentions open for both parties.

 

 

 

 

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