Usha Yarns Limited v. Union of India and Others
Case brief
What is this about?
The Court allowed the writ petition, setting aside notices under Section 148 and consequential proceedings initiated by the Jurisdictional Assessing Officer for not conducting the faceless assessment procedure mandated under Section 144B of the Income Tax Act, 1961, in light of earlier coordinate bench rulings.
What did the court decide?
Notices under Section 148 and orders under Section 148A set aside. Revenue at liberty to follow procedure under the Act.