Jcb India Ltd. v. Deputy Commissioner of Income Tax & Anr.
Case brief
What is this about?
Three writ petitions challenging final assessment orders and transfer pricing recommendations for AYs 2006-07 to 2008-09. The Court held that the AO violated mandatory Section 144C requirements by omitting the draft assessment order stage after Tribunal remand, rendering the orders without jurisdiction and invalid.
What did the court decide?
The final assessment orders dated 31st March 2016 and the TPO orders dated 30th March 2016 for AYs 2006-07, 2007-08, and 2008-09 were set aside as null and void.