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Issues:
Challenging order passed by Income-tax Appellate Tribunal for rectification of orders, assessment of income of a firm, genuineness of a firm, rectifiable mistake in Tribunal's order. Analysis: The appeal challenges the order passed by the Income-tax Appellate Tribunal for rectification of orders concerning the assessment of income of a specific firm. The Tribunal initially included the income of a particular firm in the assessee-firm, considering it not genuine but merely a front of the respondent. However, the Tribunal later referred to separate appeals where the firm was held to be genuine for the assessment year 1985-86. The Revenue moved an application under section 254(2) of the Income-tax Act, 1961, stating that the foundation for holding the firm as genuine was based on a wrong premise. The Tribunal rejected this application, leading to the current appeal. The Tribunal's order was based on the fact that for the assessment year 1985-86, the lower appellate authority had held the firm in question to be genuine in a separate appeal. The Tribunal noted that there was no information regarding any appeal against that order or if it had been set aside. The Revenue, even during the proceedings, could not confirm if the finding by the appellate authority had been set aside, despite filing an appeal. The Tribunal did not independently record a finding but acknowledged the appellate authority's decision on the genuineness of the firm. The High Court, after a thorough review, concluded that no rectifiable mistake affecting the decision's substance was made by the Tribunal in its order. The fact that the Tribunal did not independently record the finding in a previous appeal did not render the order erroneous. The High Court upheld the Tribunal's decision that the firm in question was held to be genuine by the appellate authority. Consequently, the appeal was dismissed, and no costs were awarded.
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