Reassessment Notice Issued to a Deceased Person and Solely Based on a Co-Owner’s DVO Report Is Void
Reassessment Notice Issued to a Deceased Person and Solely Based on a Co-Owner’s DVO Report Is Void Issue Whether reassessment notices issued under Section 148 in the name of a deceased person, relying solely on a DVO report obtained in a co-owner’s case, are legally valid under Sections 159, 149, and 55A of the Income-tax… Read More »

