Swaran Singh v. Union of India and Others
Case brief
What is this about?
A coordinate bench of the Punjab and Haryana High Court set aside notices issued under the Income-tax Act, 1961, without conducting faceless assessment as required by Section 144B. The bench allowed the writ petition, quashing notices dated August 2024 and orders dated 2023-2024 for want of jurisdiction.
What did the court decide?
Notices issued under Section 148A(b), 148A(d) and 148 dated 09.08.2024 and 28.08.2024, along with consequential proceedings, are set aside.