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The appeal was filed by the assessee against the order of the AAC dismissing the appeal on the ground that no appeal lies against wealth-tax assessment made under s. 16(1) of the WT Act. The ITAT Jabalpur held that an appeal was maintainable against the order of the WTO, and the AAC was wrong in his view. The order of the AAC was set aside, and the case was remanded for disposal according to law. The appeal was allowed for statistical purposes. (Case: Appellate Tribunal ITAT Jabalpur, Citation: 1978 (9) TMI 94 - ITAT Jabalpur)
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