Ritesh Agarwal S/O Shri Jugal Kishore Garg v. Deputy Commissioner of Income Tax
Case brief
What is this about?
Faceless assessment regime; Section 148 notice issued by Jurisdictional Assessing Officer (JAO); Section 151A Income-tax Act 1961 mandate for algorithm-based random allocation; Sections 147, 148 & 148A; Section 144B faceless assessment and Sections 119/120 circular-limitation point; Part 2(i)(a) of the Scheme; quashing of income-tax notice for AY 2021-22 dated 01.03.2025; CBDT Notification dated 29.03.2022 with FAO as assessing officer; Rajasthan High Court Jaipur DB follow-on to Sharda Devi Chhajer (D.B. CW 11787/2024, 19.03.2025) and Jasjit Singh (CWP 21509/2023, Punjab & Haryana HC, 29.07.2024).
What did the court decide?
Writ petition allowed in the terms of the adjudicated precedents applied mutatis mutandis: the notice dated 01.03.2025 issued by the Jurisdictional Assessing Officer (JAO) for Assessment Year 2021-2022 and all consequential orders passed thereon are quashed and set aside; all pending applications stand disposed of.