The appellant Jas a Hindu undivided fan1ily carrying on the business of manufacturing oils. For the assessment year 1963-64 the appellant filed its quarterly returns undo'r the U.P. Sales Tox Act, 1948. The Sales Tax Officer made an assessment enhancing the turnover which resulted in increase of the amount of tax. The appellant filed an appeal on October 21, 1965 which was three days' before the period of limitation prescribed for filing the appeal was to expire. There was some difficulty about the encashment of a cheque which had been deposited along with the rest of the cash amount towards payment of the ljffiOunt of tax the liability for which stood admitted. The total payment was not made if the entire amount until May 27, 1966 when the treasury challan was produced. The assessee filed an application praying for condonation of delay, if any, in filing the appeal under s. 5 of the Indian Limitation Act I Y08 which was applicable by virtue of s. 9( 6) of the U.P, Sales Tax Act, 1948. The Assistant Commissioner (Judi.) Sales Tax rejected the memorandum of appeal as defective on the ground that the deposit of tne amount of tax admitted to be due had not been made within the period of limitation and that the delay in doing so could not be condoned under s. 5 of the Limitation Act. The appellant's petition under Art. 226 challenging the Assistant Commissioner's order was dismissed. In appeal by certificat10,