Tmt. R.Yogasundari v. The Government of Tamil Nadu
Case brief
What is this about?
The High Court disposed of writ petitions challenging notices under Section 142(1) and assessment orders under Section 153C of the Income Tax Act. The court analyzed applicability of Section 153C(2) conditions and Section 153B limitation periods regarding handover of seized materials relative to return filing due dates.
What did the court decide?
Assessment orders in W.P.Nos. 558 and 563 set aside; W.P.558 allowed. Petitioners relegated to statutory appeals.