AdvertisementMasood Gulam Vs ITO (Karnataka High Court) The petitioner filed a writ petition under Article 226 of the Constitution seeking to quash the order passed under Section 148A(d) of the Income-tax Act dated 29.03.2023, the notice issued under Section 148 dated 29.03.2023, and the assessment order passed under Sections 147 read with 144 dated 24.03.2024 for Assessment Year 2019-20. The petitioner also sought consequential reliefs, including withdrawal of the assessment order and prohibition against further action pursuant to the impugned proceedings. The petitioner contended that the notice dated 21...