Kiran Devi Sain, W/O Sumer Chand Sain v. Income Tax Officer
Rajasthan High Court (Jaipur), Division Bench – Sanjeev Prakash Sharma, Acting Chief Justice & Sangeeta Sharma, J
Case brief
What is this about?
Faceless assessment; JAO lacking jurisdiction under Section 148 Income-tax Act 1961; Section 151A mandate strictly to be followed; algorithm-based randomised allocation of assessing officers; Section 144B faceless assessment; Sections 119/120 - Board circulars cannot override statute; CBDT Notification 29.03.2022 with FAO as assessing officer; notice dated 27.08.2024 for AY 2018-2019 quashed with consequential orders; Sharda Devi Chhajer D.B. Civil Writ Petition No.11787/2024 (19.03.2025) followed; Jasjit Singh CWP No.21509/2023 P&H (29.07.2024) followed; Part 2(i)(a) of the Scheme.
What did the court decide?
Writ petition allowed following D.B. Civil Writ Petition No.11787/2024 (Sharda Devi Chhajer & Anr.) and CWP No.21509/2023 (Jasjit Singh), applied mutatis mutandis; notice dated 27.08.2024 issued by the JAO for AY 2018-2019 and all consequential orders passed thereon quashed and set aside; all pending applications disposed of.