Darshan Rekhi v. Income Tax Officer and Others
Case brief
What is this about?
Writ petition against reassessment proceedings initiated by jurisdictional assessing officer without faceless assessment under Section 144B. Following earlier coordinate bench decisions, the Court allowed the petition, setting aside the Section 148 notice dated 14.03.2024 and consequential proceedings.
What did the court decide?
Notice u/s 148 dated 14.03.2024 and consequential proceedings set aside; interim orders merged with final order.