(Per : HONOURABLE MR.JUSTICE AKIL KURESHI) Counsel for the petitioner submitted that the assessment proceedings were transferred from Ahmedabad to Dhanbad in exercise of powers conferred under Section 127 of the Income Tax Act, 1961 ignoring the objections of the petitioner. He submitted that in the show cause notice no reasons have been indicated why such transfer was necessary. He further submitted that the cases pertaining to the group were pending at Ahmedabad, Asansol and Calcutta but none at Dhanbad. Decision to transfer all cases to Dhanbad, therefore, is otherwise also improper.
Notice returnable on 6.2.2012.
(Akil Kureshi, J. ) (Ms.
Sonia Gokani, J. ) sudhir Top