Kulbir Singh v. Income Tax Officer
Case brief
What is this about?
Writ petition against jurisdictional assessing officer's notices issued without faceless assessment procedure. Following earlier decisions, the court set aside the Section 148A and Section 148 notices, the 148A(d) order and consequential proceedings as contrary to the Act.
What did the court decide?
Notices u/s 148A(b) dated 09.08.2024 and 20.08.2024, order u/s 148A(d) dated 28.08.2024, notice under Section 148 dated 28.08.2024 and consequential proceedings set aside.