Share Wise Commodity Brokers Private Limited v. Assistant Commissioner of Income Tax Circle 22(2) Delhi & Ors.
Case brief
What is this about?
Delhi High Court settled key issues regarding income tax reassessment. It held jurisdictional Assessing Officers retain concurrent power with faceless systems. Section 153C is procedural and does not oust Section 147 jurisdiction. Court directed AOs to decide validity of notices based on surviving limitation periods.
What did the court decide?
Directed AOs to evaluate Section 148 notices based on Raajeev Bansal and Ram Balram principles including surviving limitation periods and pass reasoned orders.