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Issues:
- Validity of the appeals filed by the assessee against the assessment order and refusal of continuation of registration. - Competency of the appeals signed by the assessee's authorised representative. - Consideration of the appeals by the AAC and dismissal in limine. Analysis: 1. The appeals filed by the firm against the assessment order and refusal of continuation of registration were challenged before the Appellate Tribunal. The issue revolved around the competency of the appeals signed by the assessee's authorised representative, Shri Parikh, and later amended by a partner of the firm. 2. The assessee's counsel argued that the appeals should have been entertained by the AAC, citing rulings from various High Courts. The counsel contended that the authorised representative had the power of attorney to act on behalf of the assessee in income-tax matters. The counsel emphasized that the defect in the signature was curable, and the appeals should have been considered on merits. 3. On the contrary, the departmental representative highlighted the prescribed form of appeal to the AAC and relevant rules, emphasizing the requirement for the form to be signed by the managing partner or another partner not being a minor. The representative argued that the AAC was entitled to reject the appeals in limine if not signed by the prescribed person. 4. The Tribunal analyzed the submissions and legal precedents cited by both parties. It differentiated between issues related to defective signatures and other procedural requirements. The Tribunal clarified that the appeals were filed within time and later amended with the proper signature by a partner, rectifying the initial defect. Referring to various court rulings, the Tribunal emphasized the duty of appellate authorities to focus on the substance of the matter rather than procedural technicalities. 5. Ultimately, the Tribunal concluded that the appeals should have been entertained by the AAC and not dismissed in limine. The Tribunal directed the AAC to consider the appeals and dispose of them in accordance with the law. The appeals were partly allowed based on this analysis and decision. This detailed analysis of the judgment highlights the legal arguments presented, the relevant court rulings cited, and the ultimate decision reached by the Tribunal regarding the competency and consideration of the appeals in question.
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