The AO reopened the
assessment u/s 148 on the ground that certain income had escaped assessment.
However, in the reassessment order, the AO did not assess the income which
was referred to in the reasons but instead assessed other income which had
escaped assessment. The Tribunal quashed the reassessment order on the
ground that if the AO did not assess the income for which he had reopened the
assessment, he had no jurisdiction to assess other escaped income. The
Department challenged the Tribunal’s order by relying on Explanation 3 to s.
147 & Sun Engineering 198 ITR 297 (SC). HELD dismissing the
appeal.
To get the Complete Order kindly contact the administrator.
To get the Complete Order kindly contact the administrator.
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