Rohit Kumar Jain v. Assistant Commissioner of Income Tax, Circle 61(1), Delhi
Case brief
What is this about?
Faceless assessment; Section 148 / 148A(1) / 148A(3) notice issued by JAO vs FAO; concurrent jurisdiction of JAO and FAO; AY 2019-20 reassessment; writ of certiorari/mandamus seeking quashing and interim stay pending Supreme Court SLP; TKS Builders Pvt. Ltd. (NC-2024:DHC:8330-DB) followed as binding; Hexaware Technologies Ltd. (Bombay) appeal pending before Supreme Court; Proviso Builders (Bombay HC, 11.08.2025) order quoted; comparable Delhi petitions Nadeem Khan (dismissed) and ML Khanna HUF (withdrawn); both writ petitions dismissed, no interim relief.
What did the court decide?
The question whether a Section 148 notice issued by the JAO rather than the FAO is valid is no longer res integra: as held in TKS Builders Pvt. Ltd., both the JAO and the FAO have concurrent jurisdiction to issue a notice under Section 148. ¶25