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Issues:
1. Dismissal of appeal without opportunity of being heard. 2. Treatment of compensation as casual and non-recurring income. 3. Disallowance of sub-brokerage payments. 4. Disallowance of payment to Stock Exchange as capital expenditure. Detailed Analysis: 1. The first issue raised was regarding the dismissal of the appeal without providing the assessee with an opportunity to be heard. The Tribunal rejected this ground as it was not pressed by the appellant. 2. The second issue involved the treatment of compensation received on surrender of tenancy rights as casual and non-recurring income under section 10(3) of the Income-tax Act, 1961. The Tribunal ruled in favor of the assessee citing precedents from the Bombay High Court and the Tribunal, thus deciding this issue in favor of the assessee. 3. The third issue pertained to the disallowance of sub-brokerage payments made to Hindu Undivided Families (HUFs). The Tribunal noted that the genuineness of the claim and the services rendered were substantiated by the assessee through documents and confirmations. As the Assessing Officer did not examine the parties involved, the Tribunal concluded that the addition was not justified and deleted the disallowance, thereby accepting this ground in favor of the assessee. 4. The final issue revolved around the disallowance of a payment made to the Bombay Stock Exchange as membership fees treated as capital expenditure. The Tribunal found that the payment was necessary for the assessee to carry on its business as a stockbroker and thus classified it as a revenue expenditure. Citing decisions from the Tribunal, the Tribunal decided this issue in favor of the assessee, ultimately allowing the appeal based on the discussions and findings related to the various issues raised.
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