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Introduction

With the advent of technology in tax administration, the Income Tax Department has taken a revolutionary step towards transparency, efficiency, and taxpayer convenience through the Faceless Assessment Scheme under Section 144B of the Income-tax Act, 1961.

This article provides a comprehensive yet simplified overview of the faceless assessment procedure, its structure, and the workflow, as well as the roles of various units involved in the process.

Authorities Involved in Faceless Assessment

To ensure seamless coordination and specialisation, the Central Board of Direct Taxes (CBDT) has established several dedicated units and centres:

Centre/Unit Purpose Key Functions
National Faceless Assessment Centre (NFAC) Central coordination hub Routes all communications, assigns cases, manages workflow
Assessment Unit (AU) Core unit for determining income/loss Identifies issues, analyses documents, prepares draft proposals
Verification Unit Ensures accuracy of records Conducts inquiries, examines accounts, verifies facts
Technical Unit Provides expert opinion Covers legal, forensic, valuation, transfer pricing, data analytics, etc.
Review Unit Ensures quality control Verifies that all evidence and legal provisions are considered

Workflow: Step-by-Step Faceless Assessment Procedure

Here is how the faceless assessment process unfolds:

1. Case Selection and Assignment

  • The case is selected for faceless assessment.
  • NFAC assigns the case to an Assessment Unit (AU) using an automated allocation system.

2. Initial Notices

  • NFAC issues notice under Section 143(2) or Section 142(1).
  • Assessee submits a response, which NFAC forwards to AU.

3. Assistance from Other Units (if required)

AU may request, via NFAC:

  • Further info from the assessee
  • Enquiry by the Verification Unit
  • Technical assistance from the Technical Unit

4. Non-compliance with Notices

  • If the assessee does not respond, AU is informed and may issue a notice under Section 144 (Best Judgement Assessment).

Draft Order and Review Process

Based on assessee’s response and internal verifications:

1.No Adverse Variation:

  • AU prepares a proposal and sends it to NFAC.

2. With Adverse Variation:

  • AU sends a show-cause notice to the assessee.
  • Assessee may reply via NFAC.
  • Final income/loss proposal is prepared.

3. Review Unit Involvement:

  • NFAC forwards the proposal to the Review Unit.
  • Review Unit checks and reverts back to AU.
  • AU finalises the draft assessment order.

Draft Order – Next Steps

For Eligible Assessees (e.g., non-residents, or those with TPO adjustments under Sec 92CA(3)):

  • Draft order served for response.
  • They can accept or object (via DRP & NFAC).

For Others:

  • NFAC instructs AU to pass the final assessment order.

Role of Dispute Resolution Panel (DRP)

The DRP is a collegium of three Principal Commissioners/Commissioners who:

  • Handle objections from eligible assessees.
  • Issue binding directions to the AU for finalising the order.

Special Audit & Exceptions

In complex cases, AU may refer the matter for a special audit under Section 142(2A).

Exceptions to faceless assessments as per CBDT Order No. 187/3/2020-ITA-I dated 22.09.2021:

  • Central charges cases
  • International tax cases
  • Cases without PAN or with ITBA technical issues
  • Reassessments where limitation expired on 30.09.2021

Conclusion

The Faceless Assessment Scheme under Section 144B is a commendable initiative by the CBDT to:

  • Minimise human interface
  • Enhance transparency and accountability
  • Ensure uniform application of the law

As professionals and taxpayers, understanding this mechanism is essential to ensure compliance and to use the new system effectively.

Author Bio

Purshottam Mishra is a dedicated and results-driven Chartered Accountancy candidate specializing in Taxation. Having successfully cleared both CA Foundation and CA Intermediate in the first attempt, he demonstrates strong analytical skills, precision, and a commitment to excellence in the tax domain View Full Profile

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