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    <title>SC upholds dismissal of petition challenging reopening under Section 133A due to procedural delays and no income escapement found</title>
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    <description>The SC dismissed the Revenue&#039;s Special Leave Petition challenging the reopening of assessment under section 133A based on a survey of a bank. The petitioner&#039;s transactions with the bank involved inward and outward remittances, with discrepancies arising from the bank&#039;s use of both notional and actual realized exchange rates. The HC found that the petitioner had furnished all relevant material during the regular assessment, including bank statements reflecting actual realized rates, negating any prima facie belief of income escapement. The SC noted an unexplained inordinate delay of 198 days in filing and 79 days in refiling the SLP. On both procedural delay and substantive grounds, the SC upheld the High Court&#039;s order, concluding there was no justification to interfere with the assessment reopening. The petition was accordingly dismissed.</description>
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    <pubDate>Sat, 19 Jul 2025 14:56:57 +0530</pubDate>
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      <title>SC upholds dismissal of petition challenging reopening under Section 133A due to procedural delays and no income escapement found</title>
      <link>https://www.taxtmi.com/highlights?id=90677</link>
      <description>The SC dismissed the Revenue&#039;s Special Leave Petition challenging the reopening of assessment under section 133A based on a survey of a bank. The petitioner&#039;s transactions with the bank involved inward and outward remittances, with discrepancies arising from the bank&#039;s use of both notional and actual realized exchange rates. The HC found that the petitioner had furnished all relevant material during the regular assessment, including bank statements reflecting actual realized rates, negating any prima facie belief of income escapement. The SC noted an unexplained inordinate delay of 198 days in filing and 79 days in refiling the SLP. On both procedural delay and substantive grounds, the SC upheld the High Court&#039;s order, concluding there was no justification to interfere with the assessment reopening. The petition was accordingly dismissed.</description>
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      <pubDate>Sat, 19 Jul 2025 14:56:57 +0530</pubDate>
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