Tag Archives: Office of the Income-tax Officer

Reassessment notice under Section 148 is quashed as loose third-party loose sheets carry no nexus to the taxpayer.

By | June 19, 2026

Reassessment notice under Section 148 is quashed as loose third-party loose sheets carry no nexus to the taxpayer. Reassessment notice under Section 148 is quashed as loose third-party loose sheets carry no nexus to the taxpayer. Issue Whether the tax authorities are legally justified in issuing a reassessment notice under Section 148 for Assessment Year… Read More »