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Issues involved:
1. Cancellation of registration granted to the assessee-firm by the ITO for the assessment year under appeal. 2. Re-assessment of the firm as an unregistered firm and consequential amendments in the case of the partners. Detailed Analysis: The Appellate Tribunal ITAT CALCUTTA heard an appeal by the assessee against the order of the CIT, Jaipur, cancelling the registration granted to the assessee-firm by the ITO for the assessment year 1977-78 under section 263 of the IT Act, 1961. The CIT found that the profits of the firm were not distributed in accordance with the shares of the partners as specified in the Partnership Deed, leading to the conclusion that the firm was not genuine. The assessee argued that the discrepancy was a bona fide mistake made by the Munim and had been rectified subsequently, citing legal precedents in support of their case. The CIT determined that the profits were divided among the partners voluntarily and knowingly, not in accordance with the partnership deed, leading to the cancellation of registration and direction for re-assessment as an unregistered firm. The Tribunal, after hearing both parties and examining relevant documents, found that the CIT did not adequately address the contentions raised by the assessee. The Tribunal noted similarities between the present case and a previous case before the Jaipur Bench of the Tribunal, where a similar mistake was considered bona fide, leading to a decision in favor of the assessee. Relying on the decision of the Jaipur Bench of the Tribunal and the Allahabad High Court, the Tribunal concluded that the mistake in the present case was bona fide. Consequently, the impugned order of the CIT under section 263 of the IT Act, 1961 was cancelled, and the original registration granted by the ITO to the assessee-firm was restored. The appeal by the assessee was allowed, resulting in a successful outcome for the assessee in this matter.
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