Advocates Mahendra Gargieya and Hemang Gargieya have explained the law relating to “full and true disclosure of material facts” in the context of reopening under sections 147 and 148 of the Income-tax Act, 1961. The ld. authors have explained the fine distinction between the obligation of the assessee to disclose the “material facts” and the requirement to disclose the “inferences” to be drawn from those facts. They have opined, by relying on judgements of the Apex Court, that while the assessee is required to disclose the former, he is not obliged to disclose the latter