Deepak Dhamija v. Income Tax Officer Ward 1(1) Faridabad and Others
Case brief
What is this about?
Section 148 notice under Income Tax Act 1961 issued without faceless assessment under Section 144B set aside for want of jurisdiction; Board circulars/instructions cannot override statutory provisions; Punjab & Haryana High Court applies coordinate-bench rulings Jasjit Singh (CWP No.21509 of 2023, decided 29.07.2024) and Jatinder Singh Bhangu (CWP No.15745 of 2024, decided 19.07.2024) mutatis mutandis; petitioner Deepak Dhamija; respondents Income Tax Officer Ward 1(1) Faridabad and others; CWP No.10058 of 2025 (O&M); decided 14.05.2025; keywords: Section 148, Section 144B, faceless assessment, JAO notice, jurisdiction, mutatis mutandis, writ allowed.
What did the court decide?
Writ petition allowed in the terms of Jasjit Singh (applied mutatis mutandis): notice dated 24.03.2024 (Annexure P-7) issued under Section 148 of the Income Tax Act, 1961 and all consequential proceedings set aside.