Corporate TaxArticle·28 September 2026
Chhattisgarh HC says Reassessment Cannot Revisit an Issue Already Examined
By J the App
Executive Summary
Jindal Power's original assessment had specifically examined depreciation, additional depreciation, Section 14A and pre-production income. The High Court held that the subsequent reopening was based on the same assessment records, without fresh tangible material or failure of disclosure by the assessee, and therefore amounted to an impermissible change of opinion.
Domain | Corporate Tax | DT
The Position
Section 147 confers the p...
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