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    <title>Revision under Section 263 lacked material, so revision quashed and AO directed to verify fund acquisition cost.</title>
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    <description>Revision under section 263 was quashed because the revising officer failed to record material or a basis to show the AO&#039;s assessment was erroneous and prejudicial to revenue; the tribunal found the AO had reasonably treated six funds as equity-oriented (entitling them to taxation under Section 112A) and that the assessee had furnished fund documentation and holding-period evidence. The tribunal also upheld the Assessing Officer&#039;s accepted Annual Letting Values for multiple properties where no contrary basis was shown by the reviser, and held penalty initiation lacked requisite material; quash subject to AO verifying purchase cost of the SBI Gold Fund.</description>
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    <pubDate>Sat, 21 Feb 2026 12:10:49 +0530</pubDate>
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      <title>Revision under Section 263 lacked material, so revision quashed and AO directed to verify fund acquisition cost.</title>
      <link>https://www.taxtmi.com/highlights?id=97071</link>
      <description>Revision under section 263 was quashed because the revising officer failed to record material or a basis to show the AO&#039;s assessment was erroneous and prejudicial to revenue; the tribunal found the AO had reasonably treated six funds as equity-oriented (entitling them to taxation under Section 112A) and that the assessee had furnished fund documentation and holding-period evidence. The tribunal also upheld the Assessing Officer&#039;s accepted Annual Letting Values for multiple properties where no contrary basis was shown by the reviser, and held penalty initiation lacked requisite material; quash subject to AO verifying purchase cost of the SBI Gold Fund.</description>
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