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Issues:
1. Interpretation of provisions under sections 187, 188, and 189 of the Income Tax Act, 1961 regarding assessment of income for a firm. 2. Determination of whether a change in the constitution of a firm or succession of one firm by another occurred in the case. 3. Application of relevant legal principles and past judgments to resolve the issue of assessment for the firm. Analysis: The case involved a reference by the Income-tax Appellate Tribunal regarding the assessment of a firm's income for the assessment year 1972-73. The questions of law revolved around whether a single assessment could be made for the firm for two distinct periods and whether the two firms should be treated as one entity for income tax assessment purposes. The firm in question underwent changes in its constitution due to partners retiring and a new partnership being formed. The Income Tax Officer (ITO) initially computed the income for both periods under one assessment order, but the Appellate Assistant Commissioner (AAC) directed separate computation for the two periods, citing the provisions of the Income Tax Act, 1961. The key issue was the interpretation of sections 187, 188, and 189 of the Income Tax Act, 1961, concerning changes in the constitution of a firm and the assessment of income tax. Section 187 deals with assessment when there is a change in the constitution of a firm, while section 188 applies when a firm is succeeded by another firm. Section 189 pertains to assessment when a firm is dissolved. The court analyzed these provisions to determine the appropriate assessment method based on the specific circumstances of the case. The court examined the definition of "a change in the constitution of the firm" as provided in section 187(2) of the Act. It deliberated on whether the succession of one firm by another after dissolution falls under section 187 or section 188. The court emphasized that the provisions of the Income Tax Act must be construed on their own terms and that the definition of a change in the constitution of the firm includes cases where a dissolved firm is succeeded by another firm with some common partners. The court also considered past judgments from different High Courts, noting the varying interpretations of similar cases. It aligned with the view of the Full Bench of the Punjab and Haryana High Court and the earlier Full Bench of the Andhra Pradesh High Court. The court disagreed with conflicting judgments from other High Courts, emphasizing the need for a consistent interpretation of the relevant provisions. In conclusion, the court answered all questions in favor of the Department, supporting the application of section 187 for the assessment in the case. The judgment highlighted the importance of consistent interpretation and adherence to the specific provisions of the Income Tax Act, 1961. Given the divergence of opinions among High Courts, the court decided not to award costs for the reference.
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