₹299.00 + GST
The reassessment controversy under the Income-tax Act, 1961 has entered a decisive stage after the Supreme Court remanded multiple FAO vs JAO matters back to various High Courts for fresh adjudication in light of the retrospective insertion of Section 147A by the Finance Act, 2026.
This E-Magazine titled “FAO Versus JAO Matters Remanded Back To HC: Case Compilation & Litigation Guide”is a comprehensive research and litigation resource designed for tax advocates, chartered accountants, litigation professionals, departmental representatives, academicians, and taxpayers dealing with reassessment proceedings under Sections 147, 148, 148A, 151A, and related provisions.