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Issues:
1. Whether the Tribunal was justified in permitting the assessee to raise a question of law during the proceedings. 2. Whether a referable question of law arises out of the Tribunal's order. Analysis: 1. The first issue pertains to the Tribunal's decision on allowing the assessee to raise a question of law during the proceedings. The Tribunal, in para 14 of its order, stated that a question of law can be raised by either party at any stage of the appellate proceedings, provided it does not necessitate a fresh inquiry into the relevant facts. Citing the Supreme Court's ruling in CGT vs. Smt. Kusumben D. Mahadevia, the Tribunal emphasized that not all questions of law need to be referred to the High Court, especially if the answer is evident or settled by a previous decision. Consequently, the Tribunal rejected question No. 1 raised by the Commissioner, as the proposition of law was well-established and did not warrant a reference. 2. Moving on to the second issue, which mirrors a similar question in a prior case, the Tribunal examined whether a referable question of law arose from its order. The departmental representative presented various judgments for reconsideration, emphasizing the application of the law in force during the assessment year unless specified otherwise. In response, the assessee's counsel argued that the Tribunal had correctly followed the Supreme Court's directives, and no question of law necessitating a reference emerged. Referring to a previous case involving Phulka Rice Mills, the Tribunal upheld its earlier stance, highlighting its reliance on the Supreme Court's judgment and the significant legal changes it introduced. Therefore, the Tribunal dismissed question No. 2, concluding that it did not present a referable question of law. 3. Ultimately, the Tribunal dismissed the Revenue's reference application, affirming its decisions on both questions raised. The judgment underscores the importance of adhering to established legal principles and precedent, thereby maintaining consistency in the interpretation and application of tax laws.
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