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Court Dismisses Challenges to Tax Assessments; Clarifies Limitation Period for Assessment Orders Under Income Tax Act.

The High Court dismissed the writ petitions challenging the validity of assessment u/s 153C and notices issued u/s 153B of the Income Tax Act. The court held that the starting point of limitation for passing the assessment order u/s 153B is the date when the seized books of account, documents, or assets were handed over to the Assessing Officer having jurisdiction over such person. The previous notices issued to the four transferor companies were void and irrelevant. The limitation period commenced from the date when the incriminating material was handed over to the jurisdictional Assessing Officer, even if time was consumed in centralizing the material. The court found no reason to interfere with the impugned orders and notices issued by the Department. .....

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