Validity of TPO order u/s 92CA - Period of limitation u/s 153(3) ...
Final Tax Assessment Overturned for Exceeding Time Limit and Invalid Refund Adjustments; Set Aside for Procedural Errors.
February 1, 2024
Case Laws Income Tax HC
Validity of TPO order u/s 92CA - Period of limitation u/s 153(3) - The High court found the final order of assessment dated 13 February 2023 was indeed passed beyond the statutory time limit and was thus liable to be set aside. It also noted that the adjustments made against refunds for earlier assessment years were improper, as there was no valid demand for A.Y. 2011-12 at the time of those adjustments.
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