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Issues:
1. Assessment of arrear rent as income from business for the assessment year 1992-93. 2. Validity of notices issued under section 147 of the Income-tax Act, 1961. 3. Interpretation of provisions regarding income from house property and tax liability. Analysis: 1. The judgment revolves around the assessment of an amount received as arrear rent and categorized as 'income from business' for the assessment year 1992-93. The Assessing Officer initially assessed the amount as arrears of rent under the head 'Income from business.' However, the Commissioner (Appeals) disagreed with this assessment and deleted the amount from the petitioner's assessment for the same year. Subsequently, notices were issued under section 147 of the Income-tax Act, 1961, for reassessment, which were challenged by the petitioner. 2. The main contention against the notices issued under section 147 was the expiration of the limitation period of 4 years from the end of the relevant assessment year. The petitioner argued that since the notices were issued in 1996 for previous assessment years, the Assessing Officer lacked jurisdiction to initiate reassessment. The petitioner also highlighted the conditions required for initiating proceedings under section 147, emphasizing the need for reasons to believe that income has escaped assessment. 3. The interpretation of provisions related to income from house property and tax liability was a crucial aspect of the judgment. The petitioner's advocate argued that the received amount of arrear rent, constituting the petitioner's income from house property, should not be taxed. The petitioner contended that since the income did not escape assessment and there was no failure to disclose material facts, the limitation period of 4 years applied, barring the reassessment. The judgment raised questions about the legislative intent regarding such untaxed income and the need for a more detailed examination by a larger Bench to provide an authoritative pronouncement. The lack of precedents further necessitated a reference to a larger Bench for a comprehensive review and decision. In conclusion, the judgment highlights the complexities surrounding the assessment of arrear rent, the validity of reassessment notices, and the interpretation of tax liability concerning income from house property. The need for a larger Bench to address the substantive legal questions and potential implications on similar matters in the future underscores the significance of this case.
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