Kawaljeet Kaur v. Union of India through Its Secretary
Case brief
What is this about?
Writ petition challenging income tax reassessment notices issued without faceless assessment procedure. Following an earlier coordinate bench decision, the court set aside the Section 148A notices, the Section 148 notice and consequential proceedings for want of jurisdiction.
What did the court decide?
Notice dated 01.02.2024 u/s 148A(b), order dated 06.03.2024 u/s 148A(d), notice u/s 148 dated 06.03.2024 and consequential proceedings set aside.