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Issues:
1. Deductibility of interest claimed by the assessee. 2. Nexus between borrowed money and acquisition of shares. 3. Liability to make good the debit balance in the capital account. Analysis: Issue 1: Deductibility of interest claimed by the assessee The assessees sought reference of questions regarding the deduction of interest claimed by them. The Tribunal disallowed the claim, stating that the interest incurred was not related to the income earned during the assessment years and did not have a connection to the income declared by the assessees. The Assessing Officer disallowed the claim, which was later accepted by the Deputy Commissioner. The Tribunal held that the interest claimed could not be allowed under sections 57 or 67 of the Income-tax Act as the borrowings were utilized to liquidate the outstanding debit balance against the partners in the firm's account, which had become defunct. The Tribunal referred to decisions of other High Courts to support its conclusion. Issue 2: Nexus between borrowed money and acquisition of shares The Tribunal found that there was no nexus between the borrowings made by the assessees and the acquisition of shares by the private limited company that took over the firm. It noted that the borrowings were used to clear the outstanding debit balance and that the amounts invested had no relation to the allotment of shares by the company. The Tribunal emphasized that the borrowed amounts were not available for the acquisition of shares on the dissolution of the firm, leading to the disallowance of the interest claimed by the assessees. Issue 3: Liability to make good the debit balance in the capital account The assessees argued that the investments made were not to rectify the debit balance in their capital accounts but to keep the firm operational, which was later taken over by the private limited company. However, the Tribunal rejected this contention, stating that the amounts were utilized to discharge the partners' liability and were not directly linked to the acquisition of shares. The Tribunal distinguished a Supreme Court decision cited by the assessees' counsel, emphasizing the lack of nexus between the borrowings and the acquisition of shares. In conclusion, the High Court dismissed the income-tax cases, concurring with the Tribunal's decision that no question of law arose for consideration. The Tribunal's approach was deemed appropriate, considering the facts on record, and the court found no grounds to challenge the decision.
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