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Naga Balaji (Law Student.)     09 December 2011

Limitation for appealing against the tribunal order.

Section 260 A Prescribes 120 days limitation period for appealing against the order of tribunal.

 

120 days before the case was decided partly in favour of the assesse.

 

Whether the Comissioner of Income tax can appeal even after the lapse of 120 days?

How to challenge if CIT tries to appeal after the lapse of 120 days to High court?



Learning

 1 Replies

Naga Balaji (Law Student.)     09 December 2011

Whether Section 5 of Crpc condoning the delay be a factor under Section 260A of Income taxt act?


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