Paresh Nemichand Runwal HUF Thr Its Karta Paresh Nemichand Runwal v. Office of the Income Tax Officer and Others
Case brief
What is this about?
High Court disposed of numerous writ petitions challenging section 148 income-tax notices issued after April 1, 2021, by applying the Supreme Court's directions in Civil Appeal No.3005 of 2022, deeming such notices as section 148A.
What did the court decide?
Petitions disposed of based on Supreme Court order requiring notices to be treated as section 148A show-cause notices.