P.T.Manuel and Sons v. the Commissioner of Income Tax
Case brief
What is this about?
The Kerala High Court held that a contradiction between two Tribunal orders rendered two days apart does not constitute a 'mistake apparent from the record' warranting rectification under Section 254(2). The Court allowed the reference in favor of the assessee and declined to answer other questions.
What did the court decide?
The reference framed under Section 256(1) read with Section 276A of the Income Tax Act was quashed/discarded relating to the tribunal order.