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2005 (2) TMI 491 - AT - Income TaxExtract: .......8 but it cannot be regarded to be a mistake apparent from the record of the assessee as AOP and HUF both are the different assessees. 11. We, therefore, under these facts and legal position, set aside the order of the authorities below and quash the order passed by the AO under s. 154. 12. In the result, all the appeals of the assessee are allowed.
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