Vaish Associates Advocates v. Assistant Commissioner of Income-Tax
Case brief
What is this about?
The High Court quashed the re-opening of income tax assessments for AYs 2007-08 and 2008-08. The court held that a prior judgment by the same bench interpreted the partnership deed sufficiently to validate partner remuneration, rendering the basis for re-opening non-existent under Section 40(b).
What did the court decide?
Quashing of notices dated 21st March 2014 and 12th June 2014 under Section 148, and consequential orders dated 11th March 2015.