2023 (8) TMI 337
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....without minimum inquiry and on the eve of expiry of the period of limitation, the Commissioner interfered with the assessment under section 263 in Income Tax Act, 1961. His client preferred appeal to the Tribunal but by impugned order dated 15th June, 2022, the Tribunal upheld the revision order. He draws attention to definition of 'anonymous donation', given in section 2(24)(iia) and submits, sub-section (3) in section 115-BBC requires the assessee to maintain record of identity indicating name and address of the donors and such other particulars as may be prescribed. There has not been any further prescription. He demonstrates from reply dated 27th March, 2021 given by his client, as had enclosed therewith detailed list of donors along wi....
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.... and the trust, credit worthiness of donors, date or mode of payment of donation and genuineness of donation etc., is the assessment erroneous on it being prejudicial to the interest of revenue, requiring interference in revision under section 263? 5. We have not been shown that there has been further prescription regarding recipients of donation to maintain record of further particulars in addition to identity, name and address of the person making the contribution, as provided under sub-section (3) of section 115-BBC. Section 2(24)(iia) gives definition of anonymous donation. Appellant (assessee) must first be shown to have received anonymous donation. 6. We have perused the assessment order and found the AO said, inter alia, as rep....
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