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        Case ID :

        2017 (9) TMI 671 - HC - Income Tax

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        Court sets aside notices to reopen tax assessment for AY 2008-09 under Section 148. Officer failed to show lack of full disclosure. The court set aside the notices seeking to reopen the assessment for AY 2008-09 under Section 148 of the Income Tax Act as the assessing officer failed to ...
                          Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

                              Court sets aside notices to reopen tax assessment for AY 2008-09 under Section 148. Officer failed to show lack of full disclosure.

                              The court set aside the notices seeking to reopen the assessment for AY 2008-09 under Section 148 of the Income Tax Act as the assessing officer failed to demonstrate a failure on the part of the assessee to fully disclose material facts. The court nullified the order rejecting the petitioner's objections and ruled in favor of the petitioner, holding that the threshold requirement for reopening the assessment was not met.




                              Issues:
                              Challenge to notices seeking to reopen assessment for AY 2008-09 under Section 148 of the Income Tax Act, 1961.

                              Analysis:
                              The petitioner challenged the notices dated 18th March 2015, 24th March 2015, and 18th January 2016 issued by the Deputy Commissioner of Income Tax (DCIT) seeking to reopen the assessment for AY 2008-09. The challenge also extended to the order dated 8th March 2016 passed by the DCIT regarding the petitioner's objections against the notice dated 18th March 2015. The assessment for AY 2008-09 was completed under Section 143(3) of the Act on 16th December 2011. The notices to reopen the assessment were issued more than four years after the AY, triggering the requirement to comply with the first proviso of Section 147 of the Act. This proviso mandates that the assessing officer must record reasons for reopening the assessment based on the failure of the assessee to make a full and true disclosure of material facts relevant to the assessment for the AY in question.

                              In the present case, the reasons for reopening the assessment highlighted that the assessee was allowed to set off brought forward losses, but the assessing officer claimed there was no loss available for set off in the subsequent year based on the assessment records of AY 2007-08. However, the assessing officer failed to indicate how there was a failure on the part of the assessee to fully and truly disclose material facts necessary for the assessment, as required by law. The assessments for three AYs prior to the AY in question were completed at a loss, albeit at a lower figure than claimed by the assessee. The assessment for AY 2005-06 was finalized after the assessee filed its return for the AY in question, meaning the assessee did not have the benefit of the assessment order for AY 2005-06 at the time of filing its return. Therefore, there was no failure on the part of the assessee to disclose material facts relevant for the assessment.

                              As the threshold requirement for reopening the assessment under the proviso to Section 147(1) of the Act was not met, the court set aside the three notices under Section 148 of the Act seeking to reopen the assessment for AY 2008-09. Consequently, the court also nullified the order dated 18th January 2016 passed by the DCIT rejecting the petitioner's objections. The writ petition was allowed in favor of the petitioner.
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                              ActsIncome Tax
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