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2013 (11) TMI 821 - AT - Income TaxApplication for stay of Revision proceedings u/s 263 - revenue contended that, stay of proceedings in respect of the consequential order passed under section 263. It was the submission that once stay petition is granted, normally it operates for 180 days and another extension of 180 days could be granted resulting a total loss of one year time - Held that:- stay should not be granted in this case and the same stands dismissed. - Decided against the assessee.
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