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The Appellate Tribunal reviewed a case involving a revision u/s 263 related to errors in revenue...

The Appellate Tribunal reviewed a case involving a revision u/s 263 related to errors in revenue recognition methods. The Commissioner has the authority to examine and rectify orders if they are deemed erroneous and prejudicial to revenue. The Tribunal cited the Malabar Industrial Co. Ltd case, emphasizing the need for both conditions to be met for invoking section 263. In this instance, as there was no revenue prejudice due to the taxpayer's methods of revenue recognition and valuation of closing stock, the Tribunal found no basis for revision u/s 263. The assessment order was restored, and the Commissioner's order was set aside. The Tribunal allowed the taxpayer's appeal. .....

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