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    Year-wise tax assessments required: composite orders invalid, while writ challenges remain maintainable despite appellate dismissal
    Section 56(2)(ix) requires advance negotiations for a capital asset and forfeiture; business land-procurement advances therefore escaped taxation
    Mandatory pre-notice inquiry under section 148A: bypassing an approved inquiry invalidates reassessment proceedings and requires fresh action.
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      Faceless assessment procedure requires a meaningful opportunity...

      Faceless assessment hearing rights require effective video-conference access before finalising additions, with procedural compliance under scrutiny.

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      Income TaxJuly 25, 2026Case LawsHC
      Faceless assessment procedure requires a meaningful opportunity of personal hearing where sought, including access to video-conference facilities. The text records a prima facie concern that, after the assessee could not access the video-conference link because of a technical glitch, no further personal-hearing opportunity was provided before the assessment order was issued. It identifies possible non-compliance with the hearing procedure under the faceless assessment framework. The Revenue was given time to verify whether the final additions exceeded those proposed in the show-cause notice and whether video-conference access had been provided during the relevant period; the matter was listed for further instructions.

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      ActsIncome Tax