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Tax Reassessment Invalidated: Procedural Flaws in Sections 148-A and 148 Notices Render Assessment Proceedings Null and Void

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....HC invalidated reopening of tax assessment, finding procedural violations in notices issued under Sections 148-A and 148. Following precedents from multiple jurisdictions, the court held that assessment notices were improperly served outside the faceless assessment framework mandated by Finance Act, 2021. The jurisdictional Assessing Officer's actions were deemed non-compliant with statutory requirements. Consequently, the writ petition was allowed in favor of the assessee, effectively quashing the tax reassessment proceedings on jurisdictional grounds.....