The Commissioner of Incometax, Kochi v. M/S.Cochin Refineries Ltd, Kochi
Case brief
What is this about?
The High Court rejected the Income Tax Appearals by the Commissioner. Upholding the Tribunal, it held that rectification under Section 154 was barred by the four-year limitation. Thus, loss carry-forward permitted in the earlier year could not be refused for subsequent years, and the appeals were dismissed.
What did the court decide?
The Income Tax Appeals were rejected as the rectification was barred by limitation under Section 154.