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    Minimum alternate tax does not apply to statutory bodies outside the Companies Act, leaving book-profit disallowance challenge unsustainable.
    Reassessment based on inapplicable share-transaction information fails when disclosed intraday profit does not match the recorded reopening reasons.
    Surplus interest-free funds rebut interest disallowance, while section 14A computations cannot alone increase minimum alternate tax book profit.
    Electronic filing delay in charitable trust audit reporting warranted condonation where genuine hardship arose from clerical omission.
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    Unverifiable purchases warrant only embedded-profit estimation when accepted sales and records show actual goods were procured.
    Reasonable cause for journal-entry loan transfers can protect genuine restructuring transactions from penalties for prescribed loan acceptance modes.
    Commercial nexus of facilitation services supports deduction of commission expenditure against income from other sources.
    Reassessment limitation for pre-2021 assessment years invalidated a belated notice, while unsupported share-sale cash-credit additions were deleted.
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    Pre-2021 reassessment limitation survives amended regime, invalidating notices issued after the former statutory time limit expires.
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      This judgment deals with the validity of reassessment notices...

      Court Converts Old Tax Reassessment Notices to Show-Cause Notices; Stays Proceedings Until Revenue Updates Info.

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      Income TaxOctober 5, 2024Case LawsSC
      This judgment deals with the validity of reassessment notices issued u/s 148 of the Income Tax Act between July and September 2022, in light of the Tax Ordinance and the Supreme Court's decision in Ashish Agarwal. The key points are: The Court clarified that directions issued under Article 142 are not binding ratios but supplementary measures to achieve complete justice. It exercised this power in tax matters where Revenue actions were not per law. The Court deemed reassessment notices issued under the old regime between April 1 and June 30, 2021, as show-cause notices under the new regime in Ashish Agarwal, balancing assessee and Revenue rights and avoiding further appeals. The legal fiction created a deemed stay on proceedings till the Revenue supplied relevant information to assessees per the Court's directions. Exclusions apply for computing limitation u/s 149. After April 1, 2021, the Income Tax Act must be read with substituted provisions and the Tax Ordinance applies if actions fall between March 20, 2020, and March 31, 2021. Section 3(1) overrides Section 149 only for relaxing reassessment notice time limits. Reassessment notices under the new regime must be issued within the surviving time limit under the Act read with the Ordinance; notices beyond this.

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      ActsIncome Tax