Amarchand Ramji Gala Huf v. Union Of India And Other
Digitally signed by GAURI AMIT GAEKWAD Date:
2022.04.06 11:22:45 +0530 GAURI AMIT GAEKWAD 1/2 963.WP-1693-2022.doc
IN THE HIGH COURT OF JUDICATURE AT BOMBAY
ORDINARY ORIGINAL CIVIL JURISDICTION WRIT PETITION NO.1693 OF 2022 Amarchand Ramji Gala (HUF) ....Petitioner V/s.
Union of India and Ors.
....Respondents ---- Mr. Rajendra for petitioner.
Mr. Suresh Kumar for respondents.
---- CORAM : K.R. SHRIRAM & N.R. BORKAR, JJ.
DATED : 4th APRIL 2022 P.C.:
In this case the notice issued under Section 148 of the Income Tax Act, 1961 (the Act) is dated 15th April 2021 but the procedure followed is the old procedure which came to be replaced by the Finance Act, 2021 with effect from 1st April, 2021.
Mr. Rajendra states that he does not have any instructions of any assessment order having been communicated to petitioner. Statement accepted.
Even if the assessment order is passed, still it will be non-est as the notice issued under Section 148 of the Act itself is being set aside. We have already held in Tata Communications Transformation Services Limited V/s. Assistant Commissioner of Income Tax 14(1) & Ors.1 that such notices are bad in law and have to be quashed. Accordingly, notice
1. Writ Petition No.1334 of 2021 dated 29th March, 2022. Gauri Gaekwad
2/2 963.WP-1693-2022.doc impugned in this petition is hereby quashed and set aside. Petition disposed accordingly.
(N.R. BORKAR, J.) (K.R. SHRIRAM, J.) Gauri Gaekwad