Thursday, September 19, 2019

For TCS default, action can be taken within a reasonable period if no limitation period is prescribed under the Act

INCOME-TAX: Since no limitation is prescribed under section 206C for passing order by Assessing Officer with reference to failure of assessee to collect taxes, reasonable period of limitation of four years from end of financial year in question was to be followed for passing order under said section

from www.taxmann.com Latest Case Laws https://ift.tt/30jrB6J

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