01.02.2013, admitting income, at Rs.38,688/-, i.e., after claiming exemption, under Section 54, in respect of the Long Term Capital Gain (LTCG), arising on the aforesaid sale. The same came to be disallowed in the assessment proceedings, initiated through notice, under Section 143(2), assessing the income for the year at Rs.31.11 lacs, including LTCG at Rs.30.73 lacs, i.e., as returned. The only objection raised by the assessee before the Assessing Officer, was with regard to the claim, under Section 54. Assessee’s challenge to the service of notice, under Section 148, was before the first appellate authority for the first time. The same, however, did not find his favour, in view of Section 292BB of the Act, inasmuch as, without doubt no objection qua the service of notice, under Section 148(1) was raised during the course of the assessment proceedings.