Reassessment Quashed – Notice U/s 148A(b) Invalid for Granting Less Than Mandatory 7 Days to Reply
The Tribunal ruled that Section 148A(b) requires a minimum of seven days for the assessee to respond. Failure to grant this statutory period renders the notice and subsequent reassessment proceedings ...
March deadlines: advance tax payments due March 15, TDS certificate issuance by March 17, and international tax reporting by March 31, 2026.
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