CIT v. Anand Kumar Deepak Kumar
294 ITR 497High Court2007#1969 most cited
What is CIT v. Anand Kumar Deepak Kumar authority for?
There is no presumption that unaccounted sales discovered during the pre-search period automatically continue into the post-search period.
59
judgments rely on this decision, according to BharatTax’s citation analysis of 292,668 Indian tax judgments — from 2012 to 2025.
Also referred to as
CIT v. Anand Kumar Deepak Kumar · 294 ITR 497 · Section 153A · Section 132 · unaccounted sales · pre-search period · post-search period · presumption · undisclosed income · block assessment · search assessment
Also reported as
160 Taxmann 206
Sections most often in play
Issues it is cited on
Judgments citing CIT v. Anand Kumar Deepak Kumar
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