Assistant Commissioner of Income Tax v. Chartered Gold Financial Services Private Limited
Case brief
What is this about?
This common judgment dismissed revenue appeals against a Single Judge order quashing reassessment notices issued after April 1, 2021. The Division Bench held that the new reassessment scheme under the Finance Act, 2021 applied to all proceedings initiated after that date. Consequently, orders based on pre-amendment Section 148 without complying with Section 148A were invalid, and CBDT notification
What did the court decide?
Impugned reassessment notices issued under the old scheme without following Section 148A procedures were quashed; appeals dismissed.