Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
>
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
Make Most of Text Search
  1. Checkout this video tutorial: How to search effectively on TaxTMI.
  2. Put words in double quotes for exact word search, eg: "income tax"
  3. Avoid noise words such as : 'and, of, the, a'
  4. Sort by Relevance to get the most relevant document.
  5. Press Enter to add multiple terms/multiple phrases, and then click on Search to Search.
  6. Text Search
  7. The system will try to fetch results that contains ALL your words.
  8. Once you add keywords, you'll see a new 'Search In' filter that makes your results even more precise.
  9. Text Search
Add to...
You have not created any category. Kindly create one to bookmark this item!
Create New Category
Hide
Title :
Description :
❮❮ Hide
Default View
Expand ❯❯
Close ✕
🔎 Case Laws - Adv. Search
TEXT SEARCH:

Press 'Enter' to add multiple search terms. Rules for Better Search

Search In:
Main Text + AI Text
  • Main Text
  • Main Text + AI Text
  • AI Text
  • Title Only
  • Head Notes
  • Citation
Party Name: ?
Party name / Appeal No.
Law:
---- All Laws----
  • ---- All Laws----
  • GST
  • Income Tax
  • Benami Property
  • Customs
  • Corporate Laws
  • Securities / SEBI
  • Insolvency & Bankruptcy
  • FEMA
  • Law of Competition
  • PMLA
  • Service Tax
  • Central Excise
  • CST, VAT & Sales Tax
  • Wealth tax
  • Indian Laws
Courts: ?
Select Court or Tribunal
---- All Courts ----
  • ---- All Courts ----
  • Supreme Court - All
  • Supreme Court
  • SC Orders / Highlights
  • High Court
  • Appellate Tribunal
  • Tribunal / NCLT & Others
  • Appellate authority for Advance Ruling
  • Advance Ruling Authority
  • National Financial Reporting Authority
  • Competition Commission of India
  • ANTI-PROFITEERING AUTHORITY
  • Commission
  • Central Government
  • Board
  • DISTRICT/ SESSIONS Court
  • Commissioner / Appellate Authority
  • Other
In Favour Of: New
---- In Favour Of ----
  • ---- In Favour Of ----
  • Assessee
  • In favour of Assessee
  • Partly in favour of Assessee
  • Revenue
  • In favour of Revenue
  • Partly in favour of Revenue
  • Appellant / Petitioner
  • In favour of Appellant
  • In favour of Petitioner
  • In favour of Respondent
  • Partly in favour of Appellant
  • Partly in favour of Petitioner
  • Others
  • Neutral (alternate remedy)
  • Neutral (Others)
Landmark: ?
Where case is referred in other cases
---- All Cases ----
  • ---- All Cases ----
  • Referred in >= 3 Cases
  • Referred in >= 4 Cases
  • Referred in >= 5 Cases
  • Referred in >= 10 Cases
  • Referred in >= 15 Cases
  • Referred in >= 25 Cases
  • Referred in >= 50 Cases
  • Referred in >= 100 Cases
Situ: ?
State Name or City name of the Court.
Eg: Madhya Pradesh, Orissa, Hyderabad

Use comma for multiple locations.

AY/FY: New?
Enter only the year or year range (e.g., 2025, 2025–26, or 2025–2026).
Include Word: ?
Searches for this word in Main (Whole) Text
Exclude Word: ?
This word will not be present in Main (Whole) Text
From Date: ?
Date of order
To Date:

---------------- For section wise search only -----------------


Statute Type: ?
This filter alone wont work. 1st select a law > statute > section from below filter
New
---- All Statutes----
  • ---- All Statutes ----
  • Select the law first, to see the statutes list
Sections: ?
Select a statute to see the list of sections here
New
---- All Sections ----
  • ---- All Sections ----
  • Select the statute first, to see the sections list

Accuracy Level ~ 90%



TMI Citation:
Year
  • Year
  • 2026
  • 2025
  • 2024
  • 2023
  • 2022
  • 2021
  • 2020
  • 2019
  • 2018
  • 2017
  • 2016
  • 2015
  • 2014
  • 2013
  • 2012
  • 2011
  • 2010
  • 2009
  • 2008
  • 2007
  • 2006
  • 2005
  • 2004
  • 2003
  • 2002
  • 2001
  • 2000
  • 1999
  • 1998
  • 1997
  • 1996
  • 1995
  • 1994
  • 1993
  • 1992
  • 1991
  • 1990
  • 1989
  • 1988
  • 1987
  • 1986
  • 1985
  • 1984
  • 1983
  • 1982
  • 1981
  • 1980
  • 1979
  • 1978
  • 1977
  • 1976
  • 1975
  • 1974
  • 1973
  • 1972
  • 1971
  • 1970
  • 1969
  • 1968
  • 1967
  • 1966
  • 1965
  • 1964
  • 1963
  • 1962
  • 1961
  • 1960
  • 1959
  • 1958
  • 1957
  • 1956
  • 1955
  • 1954
  • 1953
  • 1952
  • 1951
  • 1950
  • 1949
  • 1948
  • 1947
  • 1946
  • 1945
  • 1944
  • 1943
  • 1942
  • 1941
  • 1940
  • 1939
  • 1938
  • 1937
  • 1936
  • 1935
  • 1934
  • 1933
  • 1932
  • 1931
  • 1930
Volume
  • Volume
  • 1
  • 2
  • 3
  • 4
  • 5
  • 6
  • 7
  • 8
  • 9
  • 10
  • 11
  • 12
TMI
Example : 2024 (6) TMI 204
Sort By: ?
In Sort By 'Default', exact matches for text search are shown at the top, followed by the remaining results in their regular order.
RelevanceDefaultDate
TMI Citation
    No Records Found
    ❯❯
    MaximizeMaximizeMaximize
    0 / 200
    Expand Note
    Add to Folder

    No Folders have been created

      +

      Are you sure you want to delete "My most important" ?

      NOTE:

      Case Laws
      Showing Results for :
      Reset Filters
      Results Found:
      AI TextQuick Glance by AIHeadnote
      Show All SummariesHide All Summaries
      No Records Found

      Case Laws

      Back

      All Case Laws

      Showing Results for :
      Reset Filters
      Showing
      Records
      ExpandCollapse
        No Records Found

        Case Laws

        Back

        All Case Laws

        whatsappJoin Channel
        Showing Results for : Reset Filters
        Case ID :

        2025 (7) TMI 110 - AT - Income Tax

        📋
        Contents
        Note

        Note

        -

        Bookmark

        print

        Print

        Login to TaxTMI
        Verification Pending

        The Email Id has not been verified. Click on the link we have sent on

        Didn't receive the mail? Resend Mail

        Don't have an account? Register Here

        Reassessment order quashed for being passed eleven months beyond section 153(2) statutory deadline The Tribunal quashed a reassessment order dated 04.12.2019 as it was passed beyond the statutory limitation period under section 153(2) of the Income Tax ...
                          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.

                              Reassessment order quashed for being passed eleven months beyond section 153(2) statutory deadline

                              The Tribunal quashed a reassessment order dated 04.12.2019 as it was passed beyond the statutory limitation period under section 153(2) of the Income Tax Act. Since the section 148 notice was served on 24.03.2018 within FY 2017-18, the AO was required to complete reassessment by 31.12.2018. The order being passed nearly eleven months after the deadline was held barred by limitation and declared non-est in law, resulting in the assessee's appeal being allowed.




                              1. ISSUES PRESENTED and CONSIDERED

                              The core legal issue considered by the Tribunal was whether the reassessment order dated 04.12.2019 passed by the Assessing Officer (AO) under section 147 of the Income Tax Act, 1961, was barred by limitation under section 153(2) of the Act, given that the notice under section 148 was issued on 24.03.2018. Specifically, the question was whether the AO was legally competent to complete the reassessment beyond the prescribed nine-month period from the end of the financial year in which the notice was served, i.e., beyond 31.12.2018.

                              2. ISSUE-WISE DETAILED ANALYSIS

                              Issue: Limitation for completion of reassessment under section 153(2) of the Income Tax Act

                              Relevant legal framework and precedents: Section 153(2) of the Income Tax Act, 1961, stipulates that no order of assessment, reassessment, or re-computation shall be made under section 147 after the expiry of nine months from the end of the financial year in which the notice under section 148 was served. The provision aims to impose a strict time limit on the AO to complete reassessment proceedings once a notice under section 148 is issued, thereby ensuring finality and certainty in tax assessments.

                              Court's interpretation and reasoning: The Tribunal examined the timeline and the statutory language of section 153(2). The notice under section 148 was issued on 24.03.2018, which falls within the financial year 2017-18. Accordingly, the nine-month limitation period for completing reassessment expired on 31.12.2018. The reassessment order was, however, passed on 04.12.2019, which is beyond the prescribed limitation period.

                              The AO had recorded in the assessment order that the notice under section 148 was issued and duly served on the assessee on 24.03.2018 after obtaining necessary approvals. Since the notice was served within the financial year ending 31.03.2018, the AO was bound by the limitation period expiring on 31.12.2018. The Tribunal emphasized that the AO must complete the reassessment within this period unless the notice was served after 31.03.2018, which was not the case here.

                              Key evidence and findings: The AO's own admission in the assessment order that the notice under section 148 was issued and served on 24.03.2018 was a critical factual finding. There was no evidence or claim that the notice was served after 31.03.2018, which could have extended the limitation period.

                              Application of law to facts: Applying the statutory provision strictly, the Tribunal held that the reassessment order dated 04.12.2019 was beyond the nine-month limitation period and therefore barred by limitation under section 153(2). The reassessment order was thus non-est in the eyes of law.

                              Treatment of competing arguments: The Departmental Representative supported the AO's reassessment and opposed interference. However, the Tribunal found no merit in this contention since the limitation prescribed by the statute is mandatory and cannot be extended unless the notice is served after the financial year-end. The assessee's argument that the order was barred by limitation was accepted in full.

                              Conclusions: The Tribunal concluded that the reassessment order passed beyond the prescribed limitation period was void and quashed the assessment order dated 04.12.2019. The appeal was allowed in favour of the assessee.

                              3. SIGNIFICANT HOLDINGS

                              The Tribunal succinctly stated the legal position: "No order of assessment, reassessment or re-computation shall be made under section 147 after the expiry of nine months from the end of the financial year in which the notice under section 148 was served."

                              It further held that since the notice under section 148 was issued and served on 24.03.2018, the AO was duty bound to complete the reassessment on or before 31.12.2018. The reassessment order dated 04.12.2019 was therefore "barred by limitation and therefore, the impugned assessment order dated 04.12.2019 is held to be non-est in the eyes of law and therefore, quashed."

                              Core principles established include the strict adherence to the limitation period under section 153(2) and the mandatory nature of the time bar for reassessment proceedings once a valid notice under section 148 is served within a financial year.

                              The final determination was that the reassessment order passed beyond the limitation period prescribed under section 153(2) is invalid and cannot sustain, leading to the allowance of the assessee's appeal.


                              Full Summary is available for active users!
                              Note: It is a system-generated summary and is for quick reference only.

                              Topics

                              ActsIncome Tax
                              No Records Found