Amudha Sukumar, v. The Assistant Commissioner
Case brief
What is this about?
This High Court allowed two writ petitions challenging reopening of income tax assessments under Section 147. The court quashed a backdated assessment order and held that the petitioner had made a true disclosure of material facts, rendering the reopening without jurisdiction.
What did the court decide?
The writ petition challenging the Assessment Order dated 28.08.2014 is allowed and the order is quashed. The writ petition challenging the communication dated 29.01.2014 is allowed.