Rakesh Mordia v. Income Tax Officer, Ward 6(2), Jaipur, Ncr Building,Statue Circle, Jaipur.statue Circle, Jaipur
High Court
08 Sep 2025 In favour of: Unclear
Forum / Bench
High Court · jaipur
Parties
Rakesh Mordia v. Income Tax Officer, Ward 6(2), Jaipur, Ncr Building,Statue Circle, Jaipur.statue Circle, Jaipur
Date of order
08 Sep 2025
Assessment year(s)
—
Outcome
Other
The order — as passed by the High Court
Case summary
In Rakesh Mordia v. Income Tax Officer, Ward 6(2), Jaipur, Ncr Building,Statue Circle, Jaipur.statue Circle, Jaipur, the High Court (2025) decided the matter under Section 148 of the Income-tax Act.
Decision: 9.In case, if any re-assessment order is passed, the same will also stand quashed and set aside.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
Sections referenced in this judgment
HIGH COURT OF JUDICATURE FOR RAJASTHAN BENCH AT JAIPUR
D.B. Civil Writ Petition No. 12965/2022
Rakesh Mordia S/o Parasram Mordia Late, Aged About 43 Years,R/o Flat No. G-1, B-60, University Marg, Jaipur 302005,Rajasthan, India.
----Petitioner
Versus
1. Income Tax Officer, Ward 6(2), Jaipur, NCR Building,Statue Circle, Jaipur.Statue Circle, Jaipur.
2. Union Of India, Through Finance Secretary, Ministry OfFinance (Department Of Revenue), Central Board OfDirect Taxes, North Block, New Delhi.Finance (Department Of Revenue), Central Board OfDirect Taxes, North Block, New Delhi.
----Respondents
For Petitioner(s): Mr. Aditya Vijay Advocate. For Respondent(s): For Respondent(s):
: Mr. Sandeep Pathak Advocate with
Ms. Jaya P. Pathak Advocate &
Mr. Palash Gupta Advocate.
HON'BLE THE CHIEF JUSTICE MR. K.R. SHRIRAM HON'BLE MR. JUSTICE MANEESH SHARMA Judgment
08/09/2025
1.At the outset, Mr. Aditya Vijay states that the legal groundthat the notice under Section 148 of the Income Tax Act, 1961 isnot valid because it has been issued by Jurisdictional AssessingOfficer (JAO) and not Faceless Assessing Officer (FAO), has notbeen taken. Counsel states in the Court that petition is yet to beadmitted and if the Court insists, petitioner will take out anapplication for adding grounds.
2.Mr. Sandeep Pathak states that this Court has taken a viewthat such a notice will be invalid and he will not insist on formalamendment in the petition.
3.Ground referred to is that the notice dated 27[th] July 2022under Section 148 of the Income Tax Act, 1961 has been issuedby a Jurisdictional Assessing Officer (JAO) and not FacelessAssessing Officer (FAO) and this Court in the case of ShreeCement Limited Vs. Assistant Commissioner of Income-Tax& Others[1] following Sharda Devi Chhajer Vs. The Income TaxOfficer & Another[2]and Hexaware Technologies Ltd. Vs.Assistant Commissioner of Income-tax, Circle 15(1)(2)[3], hasheld that such a notice will be bad and not valid.
4.At the same time, Mr. Sandeep Pathak states that inHexaware Technologies Ltd. (supra), Revenue has preferred aSpecial Leave Petition and notice has been issued. Counsel statesthat in view of the law as it stands today, Court may grant theprayer of petitioner but in case the Apex Court interferes withjudgment in Hexaware Technologies Ltd. (supra), ShardaDevi Chhajer (supra) or Shree Cement Limited (supra), thenRevenue should be given liberty to revive the notice issued underSection 148 of the Act.
5.Mr. Aditya Vijay states that in view of the above, for thepresent, petitioner will reserve his right to raise other grounds atan appropriate stage.
6.Therefore, keeping open all rights and contentions of parties,we quash and set aside notice dated 27[th] July 2022 issued underSection 148 of the Act with liberty as prayed.
7.Petition disposed.
1DB Civil Writ Petition No.10540/2024, dated 05.08.2025 at Jaipur Bench (unreported)22025 SCC OnLine Raj 33863[2024] 162 taxmann.com 225 (Bombay)22025 SCC OnLine Raj 33863[2024] 162 taxmann.com 225 (Bombay)
8.Consequently, all pending applications, if any, also stand
disposed.
9.In case, if any re-assessment order is passed, the same will
also stand quashed and set aside.
(MANEESH SHARMA),J
(K.R. SHRIRAM),CJ
SANJAY KUMAWAT-SEEMA/39
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