This is premium content. Please become a Premium member. If you are already a member, login here to access the full content.
Calcutta HC Dismisses WP Challenging Section 148A(d) Order as petitioner availed alternative remedy
Case Law Details
- Case Name
- Kothari Credit (India) Limited Vs Union Of India And ORS. (Calcutta High Court)
- Appeal Number
- Only available for paid members
- Date of Judgement/Order
- Only available for paid members
- Courts
- All High Courts, Calcutta High Court
Upgrade to Basic or Premium to download.
Already Upgraded? Log in.
Advertisement
Kothari Credit (India) Limited Vs Union Of India and ORS. (Calcutta High Court)
In the case of Kothari Credit (India) Limited v. Union of India and others, the petitioner filed a writ petition challenging the impugned order passed under Section 148A(d) of the Income Tax Act, 1961. However, during the pendency of the writ petition, the tax authorities had already passed an order under Section 147 of the Act, and the petitioner had availed the alternative remedy by filing an appeal before the CIT (Appeals).
Kothari Credit (India) Limited filed a writ petition, WPO 1192 of 2023, ...






03-Apr-2020 — Answer: If assessee does not receive any intimation from CPC Bangalore u/s 143 (1) or 154, then assessee — can call toll free number,8509489633 at 1800 103 …
General Queries related to Income Tax: Aayakar Sampark Kendra (ASK)
Purpose: Help Desk