Amrik Singh v. Union of India and Others
Case brief
What is this about?
This three-paragraph order allows the writ petition by relying on coordinate bench decisions which held notices issued under Section 148 without faceless assessment under Section 144B of the Income-tax Act, 1961 were contrary to the Act. The Court set aside the specific notice and consequential proceedings.
What did the court decide?
Notice under Section 148 dated 28.03.2024, consequential proceedings, and all pending applications were set aside or disposed of.