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Reassessment proceedings were initiated based on the belief that the assessee failed to disclose all...

Reassessment proceedings were initiated based on the belief that the assessee failed to disclose all material facts necessary for completing the assessment u/s 143(3) of the Income Tax Act, 1961. The Appellate Tribunal, being the ultimate fact-finding authority, upheld the Assessing Officer's decision to reopen the assessment, concluding that the assessee did not furnish the required information. The High Court held that no substantial question of law arises for consideration, as the Appellate Tribunal's factual findings cannot be disturbed u/s 260A, which is limited to substantial questions of law. The Appellate Tribunal's role as the ultimate fact-finding authority was affirmed. .....

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