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Issues:
1. Jurisdiction of the Income-tax Officer in reassessment proceedings. 2. Legality of notice under section 34 and proper service. 3. Application of section 34 and assessment validity. 4. Existence of escaped income for assessment. 5. Sustainability of income classification. 6. Assessability of credit for a specific year. 7. Competency of reassessment post original estimate. 8. Treatment of remitted amount as income. 9. Credibility of assessee's explanation. Jurisdiction of the Income-tax Officer: The case involved reassessment proceedings initiated against the assessee following a notice issued under section 34 of the Indian Income-tax Act. The central issue was whether the Income-tax Officer had the jurisdiction to proceed with the reassessment after transferring the assessment records from Kozhikode to Trichur. The questions raised by the Tribunal encompassed various aspects, including the proper application of section 34, assessment validity, existence of escaped income, and the credibility of the assessee's explanation. Legality of Notice and Proper Service: The primary focus was on the legality of the notice under section 34 and the adequacy of its service. The court analyzed the service of the notice at both Kozhikode and Trichur. It was established that the service did not comply with the mandatory provisions of section 34, as the serving officer did not use due diligence in locating the assessee. The court emphasized the necessity of proper service for the Income-tax Officer to have jurisdiction to proceed with reassessment. Assessment Validity and Escaped Income: The court delved into the assessment validity for the year 1945-46, examining discrepancies between the department and the assessee regarding the accounting period. The focus was on determining whether any income had escaped assessment and if the reassessment under section 34 was competent, especially considering the original assessment was based on estimates. Treatment of Income and Credibility of Explanation: Issues related to the classification of income from other sources, assessability of specific credits, and the credibility of the assessee's explanation were thoroughly scrutinized. The court assessed whether the amount remitted from Cochin could be considered income and whether the Tribunal's finding on the credibility of the assessee's explanation was legally sustainable. Conclusion: The court concluded that there was no proper service of notice under section 34, rendering the Income-tax Officer incompetent to proceed with reassessment. The court rejected arguments based on the assessee's letter as proof of service and held in favor of the assessee. The judgment highlighted the significance of adhering to procedural requirements and the implications of improper service on the validity of proceedings.
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