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Reopening u/s 147 quashed – AO’s “fishing enquiry” to investigate offshore receipts not valid formation of belief- Reassessment void where AO reopens only to verify PE/offshore claims

Case Law Details

Case Name
Huawei International Pte. Ltd. Vs ACIT (ITAT Delhi)
Date of Judgement/Order
Only available for paid members
Related Assessment Year
2014-15
Advertisement Huawei International Pte. Ltd. Vs ACIT (ITAT Delhi) Reopening u/s 147 quashed – AO’s “fishing enquiry” to investigate offshore receipts not valid formation of belief- Reassessment void where AO reopens only to verify PE/offshore claims Assessee, a tax resident of Singapore, engaged in providing ICT infrastructure solutions, challenged the reassessment order dated 30-03-2024 passed u/s 147 r.w.s 144C(13) in conformity with the DRP’s directions. The dispute arose from reopening of assessment for A.Y. 2014-15 based on information that Huawei International Pte Ltd had re...
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Author Info

CA Vijayakumar Shetty
Qualification: CA in Practice
Company: Shetty & Co, Chartered Accountants, Mangalore
Location: Mangalore, Karnataka
Articles Published: 5,900

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