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Issues: Challenge to the notice issued under Section 148 of the Income-tax Act, 1961 for assessment year 2015-16 on the ground that, after insertion of Section 148A with effect from 01.04.2021, the reassessment proceedings ought to have followed the procedure under Section 148A, including inquiry, prior approval of the specified authority, and opportunity of hearing.
Outcome: Notice issued to the respondents, the writ application was directed to be tagged with the connected matters, and interim relief was granted in terms of paragraph 17(c).