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    <title>2018 (5) TMI 446 - BOMBAY HIGH COURT</title>
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    <description>The petitions challenging orders under Section 201(1)/201(1)(A) of the Income Tax Act for Assessment Years 2016-17 and 2017-18, citing breach of natural justice and shortened payment period, were disposed of as withdrawn. The Revenue, represented by Mr. Suresh Kumar, agreed that no coercive recovery actions would be taken if the petitioners filed appeals within two weeks. The petitioners confirmed their intent to appeal, ensuring the orders were stayed, and the Commissioner of Income Tax (Appeals) would review the appeals on their merits. Consequently, the petitions were withdrawn following these developments.</description>
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      <link>https://www.taxtmi.com/caselaws?id=359882</link>
      <description>The petitions challenging orders under Section 201(1)/201(1)(A) of the Income Tax Act for Assessment Years 2016-17 and 2017-18, citing breach of natural justice and shortened payment period, were disposed of as withdrawn. The Revenue, represented by Mr. Suresh Kumar, agreed that no coercive recovery actions would be taken if the petitioners filed appeals within two weeks. The petitioners confirmed their intent to appeal, ensuring the orders were stayed, and the Commissioner of Income Tax (Appeals) would review the appeals on their merits. Consequently, the petitions were withdrawn following these developments.</description>
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