CBDT : Faceless assessment:
Fresh SOPs issued to address taxpayers' conflicts
The
faceless authority has suggested a host of changes in the assessment process
following conflicts and practical difficulties raised by taxpayers since the
new regime was introduced.
On
August 3, the National Faceless Assessment Centre issued a set of standard
operating procedures (SOPs) to address several anomalies in the regime.
The
faceless centre, constituted by the Central Board of Direct Taxes, is the nodal
authority and works as an interface for the faceless regime.
Under
the new SOP, an assessing officer will propose computation of income and loss
after considering all aspects differences and variations in the tax addition
made by the department and responses submitted by the assessee before passing
the final order in the case.
The
assessing officer will prepare an income and loss determination proposal (ILDP)
after considering the taxpayers reply to a show-cause notice and a personal
hearing in each case, it said.
The
SOP states that ILDP should be fair and judicious. The assessing officer must
submit it for risk analysis within a reasonable time. The initial tax notice
under the faceless assessment will be more comprehensive and specific now,
according to the SOP. It will be structured better after considering all
internal data available to the assessment official.
The
faceless unit has also suggested specific timelines for each step of the
process.
The
faceless authority has even defined roles of the assessment unit, verification
unit, technical unit and review unit in the revised SOP, which was absent
earlier.
Defining
the role of each unit will ensure a smoother process and could lower litigation
on procedural grounds.
Further,
to improve compliance, the department will send a centralised communication to
taxpayers in case of non-responsiveness of the notices. It also suggested
sending a physical letter at the latest known address along with text messages
of the assessee.
The
authority also suggested key conditions for verifying the assessment case. It
should be done in case of non-availability of digital footprint of third
person (other than assessee). The assessing officer can seek verification if
it requires -- cross verification of evidence, examination of books, recording
of statement, examining of witness, etc.
Besides,
the assessing officer can seek special audit in a specific case such as nature
and complexity of accounts, volume of accounts, doubts about transactions, and
specialised nature of business activity.
The
authority also suggests that the final assessment order must contain specific
information such as if the assessee seeks video conferencing without filing
complete or any submission against show cause, inference made on the basis of
which tax variations are being made, among others.
As
the faceless scheme is evolving, it will require continuous rework to make it
viable for taxpayers. The purpose of the scheme was to eliminate corruption and
not to cause inconvenience to taxpayers, it noted.
www.business-standard.com
dt. 05.08.2022