Sankuratri Venkateshwara Rao v. Income Tax Officer and Ors.
Case brief
What is this about?
Where a Section 148 notice was served on 29.03.2021 (after 01.04.2019), reassessment had to be completed within twelve months under the first proviso to Section 153(2). The reassessment order dated 12.05.2023 exceeded that period; TOLA extension did not apply as the notice fell outside the extended window. The court held the reassessment order and all consequential proceedings non-est and quashed the Section 148A(b) notice, Section 148 notice, reassessment order, and the penalty orders under Sections 271(1)(b), 271(1)(c) and 271F.
What did the court decide?
All Annexures A to A5 (148A(b) notice, 148 notice, reassessment order u/s 147/144B, and three penalty orders dated 11.01.2024) quashed by certiorari.