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Assessee has raised the ground that on the facts and circumstances of thecaseand in law, the AO has erred in assessing the total income of the Appellant under section 143(3) of the Act, for the subject assessment year at INR 123,92,03,240 as against the returned income of INR 5,42,98,030.

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Sec. 144C of Income Tax Act, 1961— Assessment —NIKON INDIA PVT. LTD. vs. Deputy CIT.[2020] 25 ITCD Online 067 (ITAT-DELHI)