Shree Jee Jee Grain Products Private Limited v. Deputy Commissioner of Income Tax and Others
Case brief
What is this about?
Coordinate Bench allowed prior writs holding that notices under Section 148/148A issued without faceless assessment under Section 144B are without jurisdiction. Current court relies on these precedents to allow the present Writ Petition and set aside the impugned notices and orders.
What did the court decide?
Notice dated 09.08.2024 (148A(b)), order dated 30.08.2024 (148A(d)), notice dated 30.08.2024 (148) and consequential proceedings are set aside; all pending applications disposed of.