In Brief
Vodafone Idea Ltd sought a review of a Supreme Court decision in a tax matter for Assessment Year 2017–18. The Court examined the review petition and found no error apparent on the record that would justify reconsideration under its review jurisdiction. As the original submissions had already been considered in detail, the review petition was dismissed, reaffirming the stringent standard that review jurisdiction applies only to manifest errors on the face of the record.
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