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Issues:
1. Interpretation of s. 254(2) of the IT Act regarding rectification of mistakes apparent from the record. 2. Application of s. 80AB and s. 80T in computing deductions for income tax purposes. 3. Tribunal's authority to rectify orders under s. 254(2) based on subsequent applications. Analysis: The judgment by the High Court of Calcutta involved the interpretation of s. 254(2) of the IT Act, specifically concerning the rectification of mistakes apparent from the record. The Tribunal had forwarded a question regarding the applicability of s. 80AB and s. 80T in determining deductions for income tax purposes for the assessment year 1977-78. Initially, the Tribunal allowed the Revenue's appeal based on the retrospective effect of s. 80AB introduced by the Finance Act. However, a subsequent application was filed requesting rectification under s. 254(2), which led to a change in the Tribunal's original order. The Tribunal, in the revised order, relied on a decision by the Madras High Court to support the application of s. 80T in calculating the deduction from capital gains. The Court emphasized that the power under s. 254(2) is limited to rectifying mistakes apparent from the record and does not extend to re-evaluating the merits of the case or considering new interpretations of the law. In this case, the Tribunal had delved into the merits of the case rather than rectifying a mistake on the face of the record. Therefore, the Court held that the Tribunal erred in invoking s. 254(2) to change its original decision. Consequently, the question of law was answered in the negative and in favor of the Revenue, with no order as to costs. The judgment highlights the importance of distinguishing between rectifiable mistakes and substantive legal interpretations in the context of s. 254(2) of the IT Act. It underscores that the power to rectify orders is not a tool for re-arguing cases or introducing new legal theories but is limited to correcting clear errors evident from the record. The decision also underscores the significance of precedent in interpreting tax laws, as demonstrated by the reliance on the Madras High Court's ruling to support the application of s. 80T in this case. Overall, the judgment provides clarity on the scope and limitations of rectification under s. 254(2) while reinforcing the importance of adhering to established legal principles and precedents in tax matters.
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