The Court :- 1. Affidavit-in-opposition filed on behalf of the respondent
authorities is taken on record.
2. The writ petition was filed challenging the show cause notice issued
under Section 148A(b) of the Income Tax Act, 1961 (hereinafter referred to as the
“said Act”) dated 25th March, 2023 in respect of the assessment year 2019-20
and the order passed under Section 148A(d) of the said Act dated 22nd April,
2023 in respect of the assessment year 2019-20 and the notice issued under
Section 148 of the said Act dated 22nd April, 2023 for the assessment year 2019-
20 passed the jurisdictional assessing officer including the sanction order under
Section 151 of the said Act. Though by the order dated 3 rd October 2024 the writ
petition was admitted, however, in the interregnum, the assessment order under
Section 147 of the said Act in respect of the assessment year 2019-20 has been
passed on 29th March, 2025.
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