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For initiating reassessment proceedings of current AY information obtained during previous assessment can be the basis

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  • For initiating reassessment proceedings of current AY information obtained during previous assessment can be the basis
Posted onon December 16, 2019

Tenet Tax Daily December 16 2019

By tenettax-team
Corporate Tax

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Commissioner Appeals is required to pass a speaking order and cannot dispose the appeal by holding that AO’s order was self-speaking and did not require interference
Where AO received directions from CIT u/s. 144A to make appropriate order, the same can be made after Assessee’s objection are disposed off

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