Political contribution deductions require assessee-specific proof before cash-back allegations can justify disallowance or unexplained-money additions...
HC quashed order u/s 148A(d) and notice u/s 148 for reopening assessment, holding that petitioner was deprived of reasonable opportunity in violation of s. 148A(c); AO's action citing time constraint was unsustainable as extended limitation period for escaped income over Rs. 50 lakh for AY 2015-16 ended on 31.03.2016, not 31.03.2022 as claimed.
HC quashed order u/s 148A(d) and notice u/s 148 for reopening assessment, holding that petitioner was deprived of reasonable opportunity in violation of s. 148A(c); AO's action citing time constraint was unsustainable as extended limitation period for escaped income over Rs. 50 lakh for AY 2015-16 ended on 31.03.2016, not 31.03.2022 as claimed.
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