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    <title>2021 (3) TMI 605 - BOMBAY HIGH COURT</title>
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    <description>The court addressed the non-implementation of appellate orders by the assessing officer in a case involving a co-operative housing society. It found delays in giving effect to the orders and ruled that the petitioner was entitled to interest under section 244A of the Income Tax Act for delayed refunds. The court also questioned the validity of manually issued orders without a Document Identification Number (DIN) and directed reassessment by the Principal Commissioner of Income Tax-19. The reassessment was ordered to consider delays, interest entitlement, and compliance with the CBDT circular, with a deadline of eight weeks for completion.</description>
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      <description>The court addressed the non-implementation of appellate orders by the assessing officer in a case involving a co-operative housing society. It found delays in giving effect to the orders and ruled that the petitioner was entitled to interest under section 244A of the Income Tax Act for delayed refunds. The court also questioned the validity of manually issued orders without a Document Identification Number (DIN) and directed reassessment by the Principal Commissioner of Income Tax-19. The reassessment was ordered to consider delays, interest entitlement, and compliance with the CBDT circular, with a deadline of eight weeks for completion.</description>
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