2024 (10) TMI 91
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.... Mr. Debesh Panda, SSC with Ms. Zehra Khan, Mr. Vikramaditya Singh & Ms. Anauntta Shankar, Advs ORDER CM APPL. 39643/2024 (Exemption) Allowed, subject to all just exceptions. This applicant stands disposed of. W.P.(C) 9651/2024 & CM APPL. 39642/2024 (Interim Relief) 1. This writ petition has been preferred seeking the following reliefs: "A. Issue an appropriate Writ, Ord....
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....4 issued under Section 148A(b) of the Income Tax Act, 1961 ["Act"] and relating to Assessment Year ["AY"] 2020-21. 3. As is manifest from a perusal of the record placed before us, the petitioner furnished a detailed reply dated 03 April 2024 where apart from assailing the proposed assumption of jurisdiction, the various entries were also copiously explained. 4. However, all that has been obs....
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.... above on or before 03.04.2024. Vide the above said notice the assessee was also asked as to why a notice under section 148 should not be issued on the basis of information which suggests that income chargeable to tax has escaped assessment in this case for the A.Y. 2020-21. In response the above mentioned notice assessee has submitted his reply on 03.04.2024. The reply of the assessee ha....
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