Against The Impugned Re-Assessment Order, The Petitioner Hasright Of Appeal Under Section 246A Of The Income Tax Act,1961 v. Singh
High Court
29 Apr 2022 In favour of: Assessee
Forum / Bench
High Court · cisdb_16012018
Parties
Against The Impugned Re-Assessment Order, The Petitioner Hasright Of Appeal Under Section 246A Of The Income Tax Act,1961 v. Singh
Date of order
29 Apr 2022
Assessment year(s)
—
Outcome
Dismissed
The order — as passed by the High Court
Case summary
In Against The Impugned Re-Assessment Order, The Petitioner Hasright Of Appeal Under Section 246A Of The Income Tax Act,1961 v. Singh, the High Court (2022) dismissed the appeal under Section 246A of the Income-tax Act. The decision went in favour of the assessee.
Decision: In view of the aforesaid, the writ petition is dismissed on theground of alternative remedy leaving it open for the petitionerto file an appeal before the appellate authority.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
Sections referenced in this judgment
Case :- WRIT TAX No. - 667 of 2022
Petitioner :- Kshitiz Ashok
Respondent :- Principal Commissioner Of Income Tax And 2 OthersCounsel for Petitioner :- Sudhanshu Kumar,Swapnil KumarCounsel for Respondent :- Gaurav Mahajan,Gaurav Mahajan
Hon'ble Surya Prakash Kesarwani,J.Hon'ble Jayant Banerji,J.
Heard Shri Swapnil Kumar, learned counsel for the petitionerand Shri Gaurav Mahajan, learned Senior Standing Counsel forthe respondent-Income Tax Department.
Against the impugned re-assessment order, the petitioner hasright of appeal under Section 246A of the Income Tax Act,1961.
In view of the aforesaid, the writ petition is dismissed on theground of alternative remedy leaving it open for the petitionerto file an appeal before the appellate authority.
It is made clear that we have not expressed any opinion on themerits of the case of the petitioner.
Order Date :- 29.4.2022
A. V. Singh
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