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2022 (9) TMI 194 - HC - Income TaxReopening of assessment - validity of impugned order u/s 148 A(d) being without jurisdiction and being barred by limitation - initiation of re-opening of the assessment has been made admittedly after six years from the end of the expiry of the period of relevant assessment year - HELD THAT:- As the respondent is not in a position to contradict the aforesaid factual and legal position. This writ petition is disposed of by quashing the aforesaid impugned order.
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