Punjab & Haryana H.C : Whether, on the facts and circumstances of the case, the Tribunal was right in law in upholding that a return filed under s. 15 of the WT Act, 1957, could not be subsequently revised in terms of s. 15 itself and consequently holding that the assessment order passed on 20th March, 1980, as well as 30th June, 1983, by the WTO as barred by limitation under s. 17A of the Act in respect of the assessment year in dispute ?
High Court Of Punjab & Haryana Commissioner Of Wealth Tax vs. Mehnga Singh Section WT 15, WT 17A Asst. Year […]