Dilipbhai Bhagvanjibhai Ghorecha v. the Principal Commissioner of Income Tax (Central)
Case brief
What is this about?
The High Court allowed multiple special civil applications challenging the Settlement Commission’s power to extend time limits. The court held that the period during which High Court proceedings were pending and subsequent restoration of files must be excluded when computing the eighteen-month deadline for passing orders under the Income Tax Act.
What did the court decide?
The period from 2.2.2018 to four weeks after 4.2.2019 is excluded while computing the eighteen-month period for passing orders under Section 245D(4).