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In the present petition, it is not that the Deputy Commissioner's action is without authority of law to contend he has no jurisdiction to issue notices. Therefore, the petition is premature for the reason that the Deputy Commissioner of Income-tax has specifically stated that the petitioner would be afforded adequate opportunity to explain his case before passing order on objective appraisal of the evidence available.

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Section 148 of the Income Tax Act, 1961 — Reassessment  — The petition was premature for the reasons that the Deputy Commissioner had specifically stated that the assessee would be afforded adequate opportunity to explain his case before passing order on objective appraisal of the evidence available — Epson India P. Ltd. vs. Assistant Commissioner of income tax [2019] 418 ITR 267 (Karnataka)  

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