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Case Law Details

Case Name : ITO Vs Budhia Auto (ITAT Raipur)
Related Assessment Year : 2012-13
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ITO Vs Budhia Auto (ITAT Raipur)

AO completed original scrutiny assessment u/s 143(3) in Feb 2015, accepting unpaid VAT & Service Tax as balance sheet items. Later, AO reopened assessment u/s 147 (notice issued in Mar 2019, beyond 4 years) alleging non-payment of Service tax ₹7.63 lakh (paid in Mar 2013, after ITR due date)& VAT ₹3.92 crore (unpaid at return filing date). AO added ₹4.00 crore u/s 43B, completing reassessment ex parte.

CIT(A) Findings

  • During original assessment, AO had specifically asked about unpaid statutory liabilities.Please become a Premium member. If you are already a Premium member, login here to access the full content.

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