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Tribunal Overturns Tax Assessment Orders Due to Mechanical Reasoning and Unexplained Investments Lacking Proper Basis.

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....The ITAT held that the final assessment order passed u/s 147 read with Section 144C(13) pursuant to the Dispute Resolution Panel's direction was invalid. The addition u/s 69A for unexplained investment/credit was unsustainable as the assessee failed to furnish the same before the lower authorities. The draft assessment order passed by the Assessing Officer on irrelevant facts could not be sustained after rejection by the DRP and allegations of mechanical passing without application of mind. Relying on the Excel Commodity Derivative case, the ITAT ruled that the term 'information' under Explanation 1 of Section 148 cannot be used lightly for reopening assessments. The AO had erroneously issued notice and made additions on fresh grounds after.........