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Limitation period u/s. 263 would be from date of original assessment order as reassessment order is distinct

Case Law Details

TaxGuru Citation
2024 taxguru.in 4334
Case Name
Jainsons Agrochem Industries Vs PCIT (Rajasthan High Court)
Date of Judgement/Order
Only available for paid members
Related Assessment Year
2013-14
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Jainsons Agrochem Industries Vs PCIT (Rajasthan High Court)

Rajasthan High Court held that since reassessment order is distinct and different, the period of limitation for exercising powers u/s. 263 of the Income Tax Act would be the date of original assessment order. Thus, entire proceedings barred by limitation.

Facts- The petitioner filed his income tax return declaring a total income of Rs.4,98,43,110/-. The petitioner has also reflected a Dividend income of Rs.21,58,735/- received from investment in Mutual Funds of UTI Ltd. and tax paid on the short term capital gain.

Upon the scrutiny of the petitioner’s income tax return, a notice was issued by the respondents and the assessment u/s. 143(3) of the Income Tax Act, 1961 was done by the concerned authority, while passing a detailed assessment order dated 08.01.2016. A notice was issued to the petitioner u/s. 154 proposing to rectify the said assessment order dated 08.01.2016 pertaining to the earned Dividend income and expenditure u/s. 14A r.w.r 8D of the Income Tax (Fifth Amendment) Rules, 2008.

Thereafter, the petitioner was issued a re-assessment notice u/s. 147 on the ground that there was a short fall of an amount of Rs.2,32,330/- in job charges account. Accordingly, the reassessment order was passed on 25.03.2022.

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