INCOME TAX UPDATE CASE LAWS DIGEST 13.5.2026

By | May 14, 2026

INCOME TAX UPDATE CASE LAWS DIGEST 13.5.2026

Section Case Law Title Brief Summary Citation Relevant Act
143(3) Suman Sharma vs. ITO Ad-hoc net profit additions are unsustainable if the AO has not rejected the books of account or identified specific bogus expenses, even if the profit ratio has declined. Click Here Income-tax Act, 1961
119(2)(b) Suresh Velu Ellathukalathil vs. PCIT Condonation of delay for filing a return was rightly denied as the 5-year limit per CBDT Circular No. 9 of 2015 is binding; no vested right exists to extend beyond this limit. Click Here Income-tax Act, 1961
148 Hari Bhoomi Communications (P.) Ltd. vs. ACIT The AO’s jurisdiction to issue a Sec. 148 notice based on material from a third-party search remains valid even if that search is later stayed or invalidated for the third party. Click Here Income-tax Act, 1961
143 Suribabu Pallanti vs. ITO Transactions pertaining to a different assessment year (e.g., AY 2017-18) must be excluded when computing the assessee’s income for the current relevant year. Click Here Income-tax Act, 1961
32 CIT (LTU) vs. Tata Motors Ltd. SLP dismissed; an assessee is entitled to claim depreciation on assets leased out under genuine lease transactions. Click Here Income-tax Act, 1961
11 T.K. Raja Educational Charitable Trust vs. ITO Exemption cannot be denied solely for not filing Form 10B with the return if it was submitted before the return was processed and was available during assessment. Click Here Income-tax Act, 1961
149 ACIT vs. Mohd Athar Anjum SLP dismissed; a notice issued on 31.03.2024 for AY 2016-17 is barred by limitation as it was issued beyond the maximum six-year period (which ended on 31.03.2023). Click Here Income-tax Act, 1961
10(23C) Breach Candy Hospital Trust vs. ACIT An appeal should not be disposed of without considering the outcome of a pending Writ Petition or interim orders regarding the trust’s exemption approval. Click Here Income-tax Act, 1961
143(1) / 143(3) DCIT vs. Denso Haryana (P.) Ltd. An intimation under Sec. 143(1) merges with the final regular assessment under Sec. 143(3), rendering any pending appeals against the 143(1) intimation infructuous. Click Here Income-tax Act, 1961