Income Tax Bill 2025: Taxmen can issue GAAR Notices Beyond Current Time Limits

28 Feb 2025

Income Tax Bill 2025: Taxmen can issue GAAR Notices Beyond Current Time Limits

The Income Tax Bill 2025 proposes significant changes to General Anti Avoidance Rules (GAAR), allowing tax authorities to issue reassessment notices for earlier tax years that were previously time-barred.

Income Tax Bill

  • Under current rules, tax authorities can issue reassessment notices only within 5 years and 3 months from the end of the assessment year if the under-reported income is ₹50 lakh or more.
  • If the time limit expires, reassessment is not allowed.

Key Reassessment Notices under GAAR

  • The new proposal allows reassessment notices for tax years that have crossed the time limit if the case is under GAAR provisions.
  • This means authorities can go back several years to review and reassess transactions aimed at tax avoidance.
  • Additional Changes to GAAR Cases
    • GAAR Panel’s decision will now be officially recognized as “information indicating escaped income”, making reassessments stronger against legal challenges.
    • Tax authorities will not be required to provide an opportunity of being heard before issuing reassessment notices in GAAR cases.

About GAAR

Income Tax Bill 2025

  • It is a regulatory measure aimed at curbing aggressive tax planning, especially in cases where transactions are structured solely to avoid taxes.
  • It prevents individuals and companies from exploiting legal gaps to avoid paying their fair share of taxes.
  • It specifically targets business arrangements that are created primarily to reduce tax liability.
  • Objectives of GAAR
    • To ensure fairness in tax transactions and prevent tax avoidance.
    • To stop the use of complex financial structures designed to avoid taxes.
  • GAAR Implementation Date in India
    • GAAR was officially implemented in India on April 1, 2017.
    • It was first proposed in 2009 under the Direct Tax Code (DTC) but was introduced later.
    • The decision to implement GAAR was influenced by the Vodafone-Hutchison Essar deal, which took place in the Cayman Islands and led to concerns about tax avoidance.

GAAR Provisions and Powers

  • It gives tax authorities broad powers to declare a transaction as an Impermissible Avoidance Arrangement (IAA) if it is executed solely for tax avoidance.
  • Income from such transactions can be recomputed, leading to additional tax liabilities.
  • GAAR cases require approval from an Approving Panel, headed by a High Court judge (serving or retired).
  • GAAR allows authorities to challenge tax avoidance spanning multiple years in one go.

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