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2012 (2) TMI 308 - BOMBAY HIGH COURTPeriod of Limitation to revise an order by CIT – CIT's order dated 28.03.2003 passed u/s 263 setting aside the Assessment Order dated 26.03.2002 passed u/s 143 r.w.s. 147 - disallowance u/s 36(1)(vii), (viia) and in respect of foreign exchange rate difference - Held that:- Original A.O. allowing such expenses was passed on 10.03.1999 u/s 143(3). However aforesaid issues were not raised & decided either in the first reassessment dated 22.02.2000 or in the second reassessment dated 26.03.2002. Where the jurisdiction u/s 263(1) is sought to be exercised with reference to an issue which is covered by the original order of assessment u/s 143(3) and which does not form the subject matter of the reassessment, as in the present case, limitation must necessarily begin to run from the order u/s 143(3). See Ashoka Buildcon Ltd. Vs. ACIT (2010 - TMI - 76630 - Bombay High Court). Therefore invocation of the jurisdiction u/s 263 held to be barred by limitation by Tribunal u/s 263(2) is upheld. See CIT vs Alagendran Finance Ltd (2007 - TMI - 40388 - Supreme Court) – Decided against the Revenue.
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