1. Rule. Respondents waive service. With the consent of the parties,
Rule made returnable forthwith and heard finally.
2. The above Writ Petition is filed seeking to quash the impugned
Notice issued by Respondent No. 2 under Section 153C for the Income Tax
Act, 1961 dated 1st November, 2022. This Notice pertains to Assessment Year
2012-13. As a consequence, the Petitioners also challenges the Notice dated
25th March, 2023 issued under Section 143(2) by Respondent No. 4 and the
AUGUST 4, 2025
Aswale