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Issues:
1. Validity of transfer orders by the Central Board of Direct Taxes. 2. Alleged violation of principles of natural justice due to non-communication of transfer orders and reasons to the petitioner. 3. Challenge to the ex parte assessment order. 4. Interpretation of Section 127 of the Income-tax Act, 1961 regarding the power to transfer cases. 5. Precedent regarding non-communication of reasons in transfer orders. 6. Legal implications of non-communication of reasons for transfer orders. Detailed Analysis: 1. The petitioner challenged the transfer orders issued by the Central Board of Direct Taxes, alleging that the orders transferring his cases from one jurisdiction to another were invalid due to non-communication of the reasons for the transfer. The petitioner argued that the principles of natural justice were violated as he was not served with the notification or reasons supporting the transfer orders. The petitioner specifically contested the transfer of his case from Bombay to Madras, emphasizing the lack of communication of reasons for the transfer. 2. The petitioner contended that under Section 127 of the Income-tax Act, 1961, the Board was obligated to record reasons for transferring cases and communicate those reasons to the assessee. The petitioner's counsel argued that the failure to provide the reasons for the transfer order to the petitioner rendered the transfer invalid. The petitioner maintained that he was not informed of the transfer order or the justifications behind it, which infringed upon the principles of natural justice. 3. The petitioner also challenged an ex parte assessment order issued by the Income-tax Officer in Madras after the transfer of his cases. However, during the proceedings, the petitioner's counsel focused solely on contesting the transfer of the case from Bombay to Madras and did not pursue objections related to the second case transfer or the ex parte assessment order. 4. The court interpreted Section 127 of the Income-tax Act, 1961, which grants the Board the power to transfer cases between different Income-tax Officers. The section outlines the procedure for transferring cases, including the requirement to provide a reasonable opportunity for the assessee to be heard and to record reasons for the transfer. The court examined the provisions of the Act to determine the legality of the transfer orders in question. 5. Citing the precedent set by the Supreme Court in Ajantha Industries v. Central Board of Direct Taxes [1976] 102 ITR 281 (SC), the court emphasized the significance of communicating the reasons for transfer orders to the assessee. The Supreme Court had previously ruled that non-communication of reasons in transfer orders constituted a serious infirmity, rendering the order invalid. The court highlighted the mandatory nature of recording and communicating reasons for transfers under the law. 6. The court concluded that the failure to communicate the reasons for transferring the petitioner's case from Bombay to Madras was a violation of the principles of natural justice. Relying on the precedent and the mandatory requirement to record and communicate reasons for transfers, the court held the impugned notification transferring the petitioner's case to be invalid and subsequently quashed the transfer order to that extent. The judgment underscored the importance of upholding procedural fairness and ensuring transparency in administrative decisions.
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