Eleganza Jewellery Ltd. v. the Commissioner of Income TAX-8
Case brief
What is this about?
This High Court dismissed a writ petition challenging a reassessment notice under Section 148 of the Income Tax Act, 1961. The Court held that reopening within four years is permissible even without a finding of failure to disclose, provided the grounds are not merely a change of opinion. The Court found reassessment valid as the AO had a reasonable belief income escaped assessment on matters not
What did the court decide?
Writ petition dismissed with no order as to costs.