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Assessment framed without jurisdiction under Section 143(3) is void; all related proceedings quashed and appeal allowed.

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....The ITAT held that jurisdiction to issue notice under section 143(2) and to frame assessment under section 143(3) lies exclusively with the DCIT/ACIT of Income Tax 1(1), Raipur, and not with the ITO, Ward 1(4). The assessment framed by the ITO, Ward 1(4), was therefore without jurisdiction, rendering it void ab initio. Consequently, the assessment order dated 28.12.2017 was quashed. Since the assessment was invalid, all subsequent proceedings arising therefrom were declared non est in law. The appeal filed by the assessee was allowed on the ground of lack of jurisdiction, emphasizing that any exercise of power imposing financial liability must be within the legally prescribed jurisdiction to be valid.....