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Issues:
1. Application under section 256(2) of the Income-tax Act, 1961 for reference of questions. 2. Rejection of application by Tribunal to be treated as a registered firm. 3. Interpretation of procedure for raising different questions in applications under section 256(1) and 256(2). 4. Determining if questions raised are of law or fact. 5. Dismissal of application due to absence of legal questions. Analysis: The judgment pertains to an application under section 256(2) of the Income-tax Act, 1961, for reference of questions regarding the assessment year 1973-74. The Tribunal had previously rejected the assessee's application to be recognized as a registered firm, citing lack of genuine partnership. The application under section 256(2) sought reference of four questions not raised in the initial application under section 256(1, leading to a preliminary objection by the Department. The court grappled with the procedural dilemma of whether different questions could be raised at this stage or if the application should be confined to the questions raised in the earlier application. The court acknowledged the complexity of the case, where 18 questions were initially raised before the Tribunal, differing from the four questions now sought to be raised. The judgment emphasized that new questions cannot be introduced at the section 256(2) stage, and the case should be limited to those raised in the section 256(1) application. However, the court noted the unprecedented nature of a completely different set of questions being raised under section 256(2), indicating a unique situation. Despite the procedural intricacies, the court decided to evaluate if there was a question of law that could be referred on merits. Upon reviewing the substantive order of the Tribunal, which focused on the dissolution of a partnership related to setting up a hotel, the court found that the key controversy was whether the firm should be registered under the Income-tax Act. The court highlighted that the partnership's dissolution led to the transfer of property without conducting any business, ultimately concluding that there was no genuine partnership. As the matter primarily involved factual inquiries, the court determined that no significant legal questions arose, leading to the dismissal of the application under section 256(2). In conclusion, the court rejected the application due to the absence of legal questions arising from the Tribunal's order. The judgment clarified that the questions raised in both the original and subsequent applications did not pertain to legal issues emanating from the Tribunal's decision, thereby upholding the dismissal while refraining from awarding costs in the circumstances of the case.
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