COMMISSIONER OF INCOME-TAX versus EXPRESS NEWSPAPERS LTD.
Settlement of matters The purpose of the provisions of the settlement of matters is not disclosed by the Income Tax Case for some years for the determination of the Income Tax Case cannot be sustained by the Commissioner of the Commission for rejecting the objection. The jurisdiction may be based on the material obtained after the date of application for the Settlement Commission, even after the report of the Indian Income Tax Act, 1961, Sections 245C and 245D (1), (1A). Can see
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