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Income Tax Reassessment Invalidated: AO Fails to Provide Substantive Evidence of Undisclosed Income Under Section 147

HC held that the AO's reassessment notice under Section 147 was invalid. The AO mechanically recorded reasons based on third-party information without providing substantive evidence directly linking the petitioner to any undisclosed income. The court found no material connection between the survey operation and the petitioner's transactions. The AO's refusal to disclose confidential information to the assessee violated procedural fairness, rendering the reopening of assessment arbitrary and illegal. Consequently, the court quashed the reassessment notice, deciding in favor of the assessee and emphasizing the need for concrete, specific reasons when initiating reassessment proceedings. .....

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