Prateek Bulls and Bears Private Limited v. Deputy Commissioner of Income Tax
Case brief
What is this about?
The High Court of Rajasthan allowed this writ petition quashing an order dated 31.03.2022 passed under Section 148A(d). The Court held that the Assessing Officer failed to follow Section 148A and departmental guidelines by failing to disclose the bank name and relying on vague information regarding a closed account that did not belong to the assessee.
What did the court decide?
The imprugned order dated 31.03.2022 passed under Section 148A(d) of the Income Tax Act is quashed and the writ petition is allowed.