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Validity of Notices / orders without DIN. The Critical Role of Procedural Compliance in Tax Administration: Analysis of a Supreme Court Stay

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....legal dispute involving the Income Tax Appellate Tribunal's (ITAT) order [2022 (11) TMI 34 - ITAT DELHI], its confirmation by the High Court [2023 (4) TMI 579 - DELHI HIGH COURT], and the subsequent stay granted by the Supreme Court. The core issue revolves around the non-compliance with the mandatory requirement of quoting the Document Identification Number (DIN) in an assessment order issued....

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....bear a computer-generated DIN from 1st October 2019 onwards. This measure was instituted to ensure an audit trail and transparency in tax administration communications. The Circular allowed manual issuance of such communications only under exceptional circumstances, detailed within the Circular, and with the necessary approval from relevant authorities. Moreover, any communication not adhering to ....

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....rement post-1st October 2019 and recognized the purpose of this mandate as maintaining a proper audit trail for tax administration communications​​. It was noted that the appellant/revenue failed to demonstrate any 'exceptional circumstances' that could justify the non-allocation of DIN, as set out in the CBDT Circular. The Court also referred to Paragraph 4 of the Circular, w....

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....ourt's intention to examine the matter further, potentially exploring legal nuances not adequately addressed in the earlier proceedings. Legal Analysis This case presents a compelling example of the intersection of procedural compliance and substantive legal adjudication. The central issue is the rigid adherence to procedural requirements (DIN allocation) and its legal implications on the val....