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Issues:
1. Interpretation of partnership deed and entitlement to registration under Income-tax Act. 2. Continuation of old firm after partner's death and formation of new partnership. 3. Entitlement to registration for the entire assessment year. Analysis: Issue 1: Interpretation of partnership deed and entitlement to registration under Income-tax Act The case involved a reference under s. 256(1) of the I.T. Act, 1961, regarding the correctness of the Appellate Tribunal's decision on the entitlement of a firm to registration. The Tribunal had denied registration to a newly constituted firm despite a partnership deed dated October 16, 1971, stating that Smt. Sunder Bai was deemed a partner from October 31, 1970. The High Court analyzed the partnership deed and concluded that the new firm was actually constituted on December 15, 1970, after the death of a partner. The Court emphasized the importance of oral agreements preceding the deed and held that the firm was entitled to registration for the entire assessment year. Issue 2: Continuation of old firm after partner's death and formation of new partnership The High Court agreed with the Tribunal's reasoning that the old firm continued until the death of a partner on December 14, 1970. The new firm, with Smt. Sunder Bai as a partner, was deemed to have come into existence on December 15, 1970, not on October 31, 1970, as stated in the partnership deed. The Court highlighted the significance of oral agreements preceding the formal deed in determining the actual formation date of the new partnership. The Court emphasized that the new partnership was genuine and should have been granted registration for the entire assessment year. Issue 3: Entitlement to registration for the entire assessment year The High Court held that the Appellate Tribunal erred in denying registration to the firm for the entire assessment year. The Court clarified that even though the firm was not in existence for part of the previous year, it was still entitled to registration for the entire assessment year. The Court's decision was based on the interpretation of the partnership deed, oral agreements between partners, and the genuine nature of the new partnership. As a result, the Court answered the questions posed by the Tribunal in favor of the assessee, granting registration for the entire assessment year. In conclusion, the High Court's judgment clarified the interpretation of the partnership deed, the formation of a new partnership after a partner's death, and the entitlement to registration under the Income-tax Act, ultimately ruling in favor of the assessee and granting registration for the entire assessment year.
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