Hi Vishal,
Yes, the AO can issue a reassessment notice u/s 148 for the same assessment year even though appeal with the Tribunal against the order of the CIT (A) is pending. The AO retains his power to invoke Section 147 within 4 years of the end of the relevant assessment year for which he has passed his order u/s 143(3). In your case, the AO has already passed the order u/s 143(3). He could have suspected an item of income escaping assessment even in later years up until the 4th year and reopened the assessment. His right to reassess the assessee's income starts the moment the assessment u/s 143(3) has been completed at HIS end. The fact that the assessee has gone into appeal does not deter the AO to exercise his jurisdiction u/s 147/148 if he suspects some income playing truant. Reassessment proceedings can't be initiated whilst the assessment proceedings are pending. By "assessment proceedings" we mean the assessment proceedings at the AO's end; the CIT (A) and the Tribunal aren't assessing authorities. So the AO is within his right to reassess your client's income even whilst you're in appeal provided of course he satisfies the litmus test of having sufficient "reason to believe".Thanks,CA Sanjeev Bedi--- In
ICAI_CIRC_MEERUT_ CA@yahoogroups. com, "CA Vishal Gupta"
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