2004 (9) TMI 705
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....d perused the entire material available on the record of the appeal. 2. It is not in dispute that the appellant-assessee obtained the audit report within the specified date, L e., 31-12-1991. 3. Under Section 139 of the Income Tax Act, 1961, the appellant-assessee was required to file the return of income on or before 31-12-1991 but it was not filed within the due date. Delayed return was fi....


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