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Maintainability of appeal under s. 260A before the High Court by the IT Department from the Tribunal judgment where tax effect does not exceed Rs. 2 lakhs. Analysis: The primary issue in this judgment revolves around the maintainability of an appeal under s. 260A before the High Court by the IT Department when the tax effect does not exceed Rs. 2 lakhs. The counsel for the assessee raised a preliminary objection citing Instruction No. 1979 issued by the CBDT, which restricts filing appeals in such cases. The circular's binding nature on the IT Department is emphasized, drawing parallels with similar cases under the Central Excise Act where circulars from CBEC were deemed binding. The judgment in CIT vs. Camco Colour Co. is relied upon to support the argument that the appeal in question is not maintainable due to the tax effect falling below the prescribed threshold. Another crucial aspect highlighted in the judgment is the binding nature of circulars issued by the Board on the Revenue. Various Supreme Court decisions are referenced to establish this principle, emphasizing that the Revenue cannot take a stand contrary to the instructions issued. The legal position reiterated in cases like Paper Products Ltd. vs. Commissioner of Central Excise and Simplex Castings Ltd. vs. Commissioner of Customs underscores the Department's inability to challenge the circulars. The judgment in Collector of Central Excise vs. Dhiren Chemical Industries further solidifies the binding nature of CBEC circulars on the Revenue, even if they differ in interpretation from the Supreme Court. Moreover, the Division Bench's decision in CIT vs. Camco Colour Co. is extensively discussed, emphasizing the policy decision by the Board to reduce litigations by not raising questions of law where the tax effect is below the specified amount. The court dismisses the appeal based on this policy decision, highlighting that the circular is binding on all officers and Commissioners. Despite the circular's clear instructions, the Revenue's decision to file the appeal is deemed contrary to the policy decision, leading to the dismissal of the appeal on the grounds of maintainability. In conclusion, the judgment delves into the intricacies of circulars issued by the CBDT and CBEC, emphasizing their binding nature on the respective departments. The decision underscores the importance of adhering to policy decisions aimed at reducing litigations and upholding the binding character of circulars, ultimately impacting the maintainability of appeals in tax matters before the High Court.
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