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Issues:
1. Jurisdictional issue regarding the applicability of section 144B in relation to the order passed by the Income-tax Officer. 2. Procedural irregularity and its impact on the finality of the assessment order. 3. Disallowance of interest payment and its deductibility under various sections of the Income Tax Act. 4. Consideration of additional grounds related to machinery repairs disallowed by the Income Tax Officer. Jurisdictional Issue: The appeal primarily revolves around the contention that the assessment order passed by the Income-tax Officer is barred by limitation due to the conferment of concurrent jurisdiction on the Inspecting Assistant Commissioner (IAC) under section 125A. The crux of the argument is whether the jurisdiction under section 144B is ousted by sub-section (7) of the same section. The debate centers on whether the IAC actually exercised the concurrent jurisdiction conferred upon him under section 125A, thereby rendering section 144B inapplicable. The Tribunal analyzed various precedents and held that the exercise of power by the IAC is crucial for section 144B to be inapplicable, emphasizing that conferment alone does not suffice. The Tribunal rejected the contention that the period of limitation should depend on the whims of the IAC to exercise jurisdiction, concluding that section 144B was indeed applicable, and the assessment was not barred by limitations. Procedural Irregularity: The argument regarding procedural irregularity was raised, suggesting that the draft assessment order should be considered final due to the alleged irregularity. The Departmental Representative contended that this was a procedural matter that could be cured, citing relevant case law. However, the Tribunal disagreed, emphasizing that the issue at hand pertained to jurisdiction, and the assessee had not waived the right to object to the absence of jurisdiction. The Tribunal differentiated between procedural irregularities and jurisdictional matters, ultimately holding that the jurisdictional issue must be addressed separately from procedural concerns. Disallowance of Interest Payment: The appeal also challenged the disallowance of interest payments under various sections of the Income Tax Act. The Tribunal rejected this ground, citing decisions such as Federal Bank Ltd. v. CIT and National Engg. Industries Ltd. v. CIT to support the disallowance. However, the Tribunal acknowledged a valid grievance regarding the consideration of interest payment to M/s. Kaushal Textiles, which was not addressed by the Commissioner (Appeals). Consequently, this ground was restored to the Commissioner (Appeals) for further review, and the appeal was allowed for statistical purposes in this regard. Machinery Repairs Disallowance: The final ground raised in the appeal related to the disallowance of machinery repairs expenses. The Tribunal directed the matter to be considered based on the Commissioner's order for the assessment year 1982-83, where similar expenses were disallowed for previous years. The Tribunal instructed a thorough examination of the bills submitted by the assessee to determine the actual expenditure, indicating that the matter should be reviewed by the Commissioner. This ground was also allowed for statistical purposes, and the appeal was partly allowed in this context. In conclusion, the judgment addressed the jurisdictional issue regarding the applicability of section 144B, clarified the distinction between procedural irregularities and jurisdictional matters, upheld the disallowance of interest payments while directing a review of specific interest payment issues, and instructed a reevaluation of the disallowed machinery repairs expenses. The Tribunal's decision provided detailed analysis and interpretation of relevant legal provisions and case law to resolve the issues raised in the appeal comprehensively.
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