BHUPINDRA FOOD AND MALT INDUSTRIES versus COMMISSIONER OF INCOME-TAX
The assessment process for the assessment year 1964 65 was started by LTO Shimla, at that time the association was not treated as a civil ITO, the assessment process was based on any The firm does not exist, so the evaluation process has not raised any objection to the status of the AOP. The ITO, Shimla, had, within the stipulated time, the ITO, the jurisdiction to resume the Shimla re-evaluation proceedings, Income Tax Act, 1961
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