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Issues:
1. Whether the conversion of a Hindu undivided family business into a partnership business involves a transfer justifying the withdrawal of development rebate? 2. Whether the distribution of reserve amount to female members of the family at the time of partition constitutes a violation of section 34(3)(a) justifying the withdrawal of development rebate? Analysis: Issue 1: The case involved the conversion of a Hindu undivided family business into a partnership business and the subsequent withdrawal of development rebate by the Income-tax Officer based on the assertion of a transfer of assets. The Appellate Assistant Commissioner upheld the withdrawal, citing the Kerala High Court decision. However, the Tribunal disagreed, relying on prior judgments that such conversion does not constitute a transfer justifying rebate withdrawal. The High Court concurred, citing various precedents that emphasized the absence of transfer in similar situations. The court highlighted that for rebate withdrawal under section 155(5), specific conditions must be met, including the sale or transfer by the assessee, which was not the case here. Therefore, the court answered the first question against the Revenue, concluding that the development rebate granted could not be withdrawn. Issue 2: The second issue pertained to the alleged violation of section 34(3)(a) due to the distribution of the reserve amount to female family members during partition. The Revenue contended that such distribution justified rebate withdrawal. However, the Tribunal found no evidence of such distribution based on the partition deed's recitals. Consequently, the court held that there was no violation of section 34(3)(a) and, therefore, the withdrawal of the development rebate could not be justified on that ground. The court answered the second question against the Revenue, directing them to pay the costs of the assessee. In conclusion, the High Court ruled in favor of the assessee on both issues, emphasizing the absence of transfer in the conversion of the business structure and the lack of evidence supporting the alleged violation of section 34(3)(a). The court's decision was based on established legal principles and precedents, ultimately rejecting the Revenue's claims and upholding the assessee's position.
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