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Income Tax Officer can reopen assessments u/s 147 if new information reveals a bogus transaction.

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....Reopening of assessment u/s 147 - The two situations are distinct and different. Thus, where the transaction itself on the basis of the subsequent information, is found to be a bogus transaction, the mere disclosure of that transaction at the time of original assessment proceedings, cannot be said to be disclosure of the β€œtrue” and β€œfull” facts in the case and the I.T.O. would have the jurisdiction to reopen the concluded assessment in such a case. - HC....