Sanjay Bansal v. Union of India and Others
Case brief
What is this about?
The High Court allowed the writ petition, setting aside notices issued under Sections 148A(b), 148A(d), and 148 of the Income Tax Act, 1961, and consequential proceedings. The court relied on coordinate bench rulings stating that procedures requiring faceless assessment must be strictly followed.
What did the court decide?
Notices dated 06.02.2024 (Section 148A(b)), order dated 29.03.2024 (Section 148A(d)), notice dated 29.03.2024 (Section 148), and consequential proceedings are set aside.