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In favour of revenue.Whether the notice issued under Section 148 of the Act would stand vitiated for want of sanction under Section 151 of the Act and that the Tribunal was justified in ignoring the above aspect despite specific argument raised in the appeal.

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Section 2(28C) & 148 of the Income-tax Act, 1961—Reassessment —-Contention of assessee that the notice was not issued with the prior sanction of the Joint Commissioner, but sanction was accorded by the Additional Commissioner and, therefore, notice under Section 148 issued by the A.O. was without jurisdiction was not correct as the Joint Commissioner includes an Additional Commissioner as well-Vikram singh v. Commissioner of Income-tax[2018] 1 ITCD Online 350 (ALL)

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