TMI BlogAssessment u/s 153C - The assessment for the relevant AY was open assessment not having been concluded...Assessment u/s 153C - The assessment for the relevant AY was open assessment not having been concluded pursuant to the original return of income filed by the Assessee either by an order u/s.143(3) or by non issue of notice u/s.143(2) of the Act, within the time period prescribed for issue of such notice before the date of search - the proceedings against the assessee would not be hit by the proviso to section 153A of the Act - AT ..... X X X X Extracts X X X X X X X X Extracts X X X X
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