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Issues:
1. Interpretation of section 154(7) of the Income-tax Act, 1961 regarding the limitation period for making amendments. 2. Validity of the rectification order passed by the Commissioner of Income-tax (Appeals) under section 154. 3. Applicability of the principle of taking advantage of one's own wrong in the context of departmental rectification proceedings. Analysis: The High Court of BOMBAY heard an application under section 256(2) of the Income-tax Act, 1961, concerning the computation of deduction under section 80M for the assessment year 1973-74. The dispute arose when the Commissioner of Income-tax (Appeals) rectified an earlier order to allow the deduction based on net dividend income, contrary to the Income-tax Officer's computation based on gross dividend income. The Commissioner's rectification was made under section 80AA, inserted with retrospective effect from April 1, 1968. The Tribunal later set aside the rectification order, prompting the Department to seek reference under section 256(2) as no referable questions of law were found by the Tribunal. The crux of the matter revolved around the interpretation of section 154(7) which bars amendments after four years from the original order. The court held that the Commissioner's rectification order, made after the four-year period, was indeed time-barred. The court dismissed the argument that rectification should be allowed if the application was filed within four years but not disposed of in time, emphasizing that the Department cannot benefit from its own delay in passing rectification orders. The court clarified that this principle does not apply when one departmental officer rectifies another's order, as the assessee is not at fault. Consequently, the rectification order was deemed invalid due to being beyond the statutory limitation period. The court declined to refer the questions raised to the Tribunal as the first question was answered by the limitation issue, rendering the second question immaterial. As a result, the rule was discharged, and no costs were awarded in the case. In conclusion, the judgment highlighted the importance of adhering to statutory timelines for rectification orders under the Income-tax Act, emphasizing that parties cannot benefit from their own delays in departmental proceedings. The decision provided clarity on the limitation period under section 154(7) and upheld the principle that rectification orders must be issued within the prescribed timeframe to maintain procedural integrity.
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