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[Cites 4, Cited by 4]

Calcutta High Court

Parichay Tradelinks Private Limited ... vs Union Of India And & Ors on 6 August, 2021

Author: Md. Nizamuddin

Bench: Md. Nizamuddin

OD-8

                         IN THE HIGH COURT AT CALCUTTA
                           Constitutional Writ Jurisdiction
                                   ORIGINAL SIDE
                               (Via Video Conference)

                                  WPO/321/2021

              PARICHAY TRADELINKS PRIVATE LIMITED AND ANR.
                                  Versus
                        UNION OF INDIA AND & ORS.


  BEFORE:
  The Hon'ble JUSTICE MD. NIZAMUDDIN
  Date : 6th August, 2021.

                                                                          Appearance:
                                                               Ms. Swapna Das, Adv.
                                                             Mr. Siddhartha Das, Adv.
                                                                   ...for the petitioners

                                                            Mr. Y. J. Dastoor, Ld. ASG.
                                                               Mr. Dhiraj Trivedi, Adv.
                                                               Ms. Madhu Jana, Adv.
                                                                 ...for the respondents

The Court : In this matter petitioners have challenged the impugned notice dated 23rd June, 2021 relating to assessment year 2013-2014 under Section 148 of the Income Tax Act, 1961 on the ground that before issuing notice under Section 148 of the Act, mandatory provisions of Section 148A of the Act which cast statutory obligation on the Assessing Officer to comply the provisions of the same before issuing any notice under Section 148 of the Act has not been complied with by the Assessing Officer.

Petitioners have also challenged the constitutional validity of the provisions of the Taxation And Other Law (Relaxation and Amendment Of Certain Provisions) Act, 2020.

2

It is an admitted position and undeniable fact that in this case statutory formalities of Section 148A of the Income Tax Act has not been observed by the Assessing Officer before issuing notice under Section 148 of the Income Tax Act, 1961 and the learned counsel for the petitioners in support of his contention has relied on my own order passed on 15th July, 2021 in W.P. No. 244 of 2021 (Bagaria Properties And Investments Private Limited & Anr. vs. Union of India & Ors.) which is on the same fact and same issue where Income Tax Authorities had not complied with statutory obligation of observing the formality of Section 148A of the Income Tax Act, 1961.

Considering the submissions of the parties, I direct the respondents to file affidavit-in-opposition within six weeks from date. Petitioner to file reply thereto, if any, within two weeks thereafter. List the matter after eight weeks (i.e. 01.10.2021) In the meanwhile, respondents are restrained from proceeding any further on the basis of the aforesaid impugned notice dated 23 rd June, 2021 being Annexure "P-4" to the writ petition.

Affidavit of service filed in Court today be kept on record.

(MD. NIZAMUDDIN, J.) S.Bag