The Calcutta High Court considered a writ petition challenging the order dated 30.06.2025 passed under Section 148A(3) of the Income-tax Act, 1961, and the consequential notice dated 30.06.2025 issued under Section 148 for Assessment Year 2020-21.
The post Section 148A Order Quashed for Ignoring Assessee’s Reply: Calcutta HC appeared first on TaxGuru.
