Corporate TaxArticle·2 July 2026
Jurisdictional validity of notice under 148
By J the App
Executive Summary
The Income Tax Appellate Tribunal, Raipur, held that a reassessment notice issued under Section 148 by an Assessing Officer lacking territorial and monetary jurisdiction is void ab initio.
Since the notice itself was issued without authority of law, the entire reassessment proceedings were held to be non est and liable to be quashed.
Domain | Direct Tax | Corporate Tax
Case Snapshot
The decision was rendered ...
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