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2006 (2) TMI 701 - HC - Income Tax

Issues:
1. Interpretation of section 147 of the Income-tax Act regarding the reopening of assessments.
2. Allowance of deductions under sections 80-HH and 80-I when conditions are not fulfilled by the assessee.

Analysis:
1. The appeal before the Madhya Pradesh High Court involved the interpretation of section 147 of the Income-tax Act. The primary issue was whether the reassessment done under section 147 was valid or if it was merely a change of opinion by the Assessing Officer. The court referred to a decision of the Full Bench of the Delhi High Court in CIT v. Kelvinator of India Ltd., where it was held that a mere change of opinion cannot be the basis for reopening a completed assessment. The court agreed with this principle, stating that the legislative intent and the scheme of the Act do not allow reassessment based solely on a change of opinion. Consequently, the court ruled in favor of the assessee, holding that the reassessment was not proper under section 147.

2. The second issue in the appeal pertained to the allowance of deductions under sections 80-HH and 80-I even if the express conditions laid down under these sections were not fulfilled by the assessee. However, since the court had already decided in favor of the assessee on the first issue regarding the validity of reassessment, it deemed the second question to be academic in nature. The court declined to examine and answer the second question on its merits, leaving it to be decided in another case if necessary. Ultimately, the court dismissed the appeal, ruling against the appellant (revenue) and in favor of the assessee.

 

 

 

 

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