Mukesh Gupta v. Union of India and Others
Case brief
What is this about?
The High Court allowed the writ petition by setting aside the notice under Section 148 of the Income Tax Act and consequential proceedings due to lack of jurisdiction, relying on established precedents requiring faceless assessment under Section 144B.
What did the court decide?
Notice dated 20.03.2024 under Section 148 and all consequential proceedings were set aside; pending applications disposed of.