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Ge Nuovo Pignone S.P.A (Now Known As ... vs Commissioner Of Income Tax ... on 19 September, 2024
cites
Article 5 in Constitution of India [Constitution]
Section 147 in The Income Tax Act, 1961 [Entire Act]
Article 3 in Constitution of India [Constitution]
Section 44BBB in The Income Tax Act, 1961 [Entire Act]
Section 44DA in The Income Tax Act, 1961 [Entire Act]
Section 9 in The Income Tax Act, 1961 [Entire Act]
Section 44BB in The Income Tax Act, 1961 [Entire Act]
Income-Tax Officer, 'G' Ward And Ors. vs Selected Dalurband Coal Co. P. Ltd. on 24 December, 1976
"16. Section 147 authorises and permits the Assessing Officer to
assess or reassess income chargeable to tax if he has reason to
believe that income for any assessment year has escaped
assessment. The word "reason" in the phrase "reason to believe'
would mean cause or justification. If the Assessing Officer has
cause or justification to know or suppose that income had escaped
assessment) it can be said to have reason to believe that an income
had escaped assessment. The expression cannot be read to mean
that the Assessing Officer should have finally ascertained the fact
by legal evidence or conclusion. The function of the Assessing
Officer is to administer the statute with solicitude for the public
exchequer with an inbuilt idea of fairness to taxpayers....................
........ .............. At that stage) the final outcome of the proceeding is
not relevant. In other wo.rds) at the initiation stage) what is
required is "reason to believe") but not the established fact of
escapement of income. At the stage of issue of notice the only
question is whether there was relevant material on which a
reasonable person could have formed a requisite belief Whether
Signature Not Verified
Digitally Signed ITA 491/2019 & W.P.(C) 6494/2019 Page 21 of 32
By:KAMLESH KUMAR
Signing Date:04.10.2024
17:36:15
the materials would conclusively prove the escapement is not the
concern at that stage. This is so because the formation of belief by
the Assessing Officer is within the realm of subjective satisfaction
ITO v. Selected Dalurband Coal Co. (P.)
Raymond Woollen Mills Ltd. vs Income-Tax Officer And Ors. on 17 December, 1997
Ltd./1996] 217 ITR 597
(SC); Raymond Woollen Mills Ltd. v. ITO [1999J 236 ITR 34
(SC)."