Political contribution deductions require assessee-specific proof before cash-back allegations can justify disallowance or unexplained-money additions...
The Central Board of Direct Taxes issued guidelines establishing compulsory selection parameters for complete scrutiny during FY 2025-26. Six specific categories mandate scrutiny: cases involving surveys under section 133A conducted after 01.04.2023; search and seizure operations under sections 132/132A during specified periods; entities claiming tax exemptions without valid registrations under sections 12A, 12AB, or 35; cases with recurring additions exceeding prescribed thresholds that became final or were upheld on appeal; and cases with specific tax evasion information from law enforcement agencies. The directive requires notice under section 143(2) by 30.06.2025, mandates transfer of non-central charge cases within fifteen days, and establishes procedural requirements for jurisdictional assessing officers and the National Faceless Assessment Centre for case processing and documentation.
The Central Board of Direct Taxes issued guidelines establishing compulsory selection parameters for complete scrutiny during FY 2025-26. Six specific categories mandate scrutiny: cases involving surveys under section 133A conducted after 01.04.2023; search and seizure operations under sections 132/132A during specified periods; entities claiming tax exemptions without valid registrations under sections 12A, 12AB, or 35; cases with recurring additions exceeding prescribed thresholds that became final or were upheld on appeal; and cases with specific tax evasion information from law enforcement agencies. The directive requires notice under section 143(2) by 30.06.2025, mandates transfer of non-central charge cases within fifteen days, and establishes procedural requirements for jurisdictional assessing officers and the National Faceless Assessment Centre for case processing and documentation.
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