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ITAT quashed PCIT's revisionary order under Section 263, finding no substantial errors in the original assessment. The tribunal held that the Assessing Officer (AO) had applied due diligence, considered all submitted documents, and reached plausible conclusions. The PCIT's directions for re-examination of various aspects including revenue recognition, financial expenses, house property income, and land transfer were deemed beyond jurisdictional scope. The tribunal emphasized that mere verification does not constitute an erroneous or prejudicial order, and the AO's original assessment was fundamentally sound. Consequently, all grounds raised by the assessee were allowed, effectively nullifying the PCIT's revisionary proceedings.