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<h1>Writ petitions challenging reassessment dismissed; digitally signed DIN letter cures defects and no jurisdictional error found, appeal available</h1> <h3>SHREE SHAKAMBHARI UDYOG PARTNERSHIP FIRM Versus COMMISSIONER OF INCOME TAX & ANR.</h3> SHREE SHAKAMBHARI UDYOG PARTNERSHIP FIRM Versus COMMISSIONER OF INCOME TAX & ANR. - TMI The Court declined to interfere with the impugned High Court judgment. It observed that 'it shall be open for the assessee to avail the alternative remedy of filing a statutory appeal under the Act.' Because the petitioner invoked writ jurisdiction of the High Court at the stage of a show cause notice issued under Section 148 and was simultaneously pursuing other remedies, 'delay in preferring statutory appeal against the final order of assessment, may be considered accordingly.' The Court kept 'All questions of law ... open to be raised before the appellate authority.' The Special Leave Petition was dismissed and pending applications were disposed of.