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Rectification under section 154 of income tax act 1961

This query is : Resolved 

16 January 2018 Time limit for making rectification request is 4 years from order passed as per sec 154 but same is not requested in time. Assessee can take any further action on the same ?

Time limit for making revision request is 1 year from order passed which is to be revise as per sec 264 but same is not applied for revision with CIT in time. Assessee can take any further action on the same ?


17 January 2018 Try in a suit to condone. But seems HC may not interfere , because they
are not included in section 116 of the IT Act.1961.



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