Smt. Vasanthi Ramdas Pai v. the Income Tax Officer
Case brief
What is this about?
The High Court of Karnataka quashed notices issued under Section 148 of the Income Tax Act, 1961 and orders passed under Section 148A(d) in two companion writ petitions. The court held that the Assessing Officer violated mandatory procedural safeguards by issuing a notice without satisfying the jurisdictional fact of 'information suggesting escapement of income.' The court found that the Assessing Officer relied on the return filed by the taxpayers to claim escapement, which is impermissible, and failed to consider the taxpayers' specific contentions regarding the grounds of reopening. The court observed that the amendment removing 'reason to believe' from Section 147 did not negate the fundamental requirement of information under Section 148.
What did the court decide?
A writ of certiorari is issued quashing the impugned orders dated 31.3.2022 under Section 148A and the impugned notices dated 31.3.2022 issued under Section 148 of the Income Tax Act, 1961. Costs to the petitioners.