Reassessment Quashed: The Fatal Error of Targeting a Non-Existent Entity
Reassessment Quashed: The Fatal Error of Targeting a Non-Existent Entity The Legal Issue The central dispute in this case was whether the Income Tax Department can validly initiate or continue reassessment proceedings under Section 148 against an entity that has ceased to exist due to a court-approved merger. Specifically, the court examined if such a… Read More »

