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Issues:
Whether the Appellate Tribunal erred in cancelling the ITO's order under section 186(1) of the Income Tax Act. Analysis: The judgment by the Appellate Tribunal ITAT Jaipur involved four appeals and cross-objections by the Revenue and the assessee against the order of the AAC. The common issue in all these appeals and cross-objections was whether the AAC erred in cancelling the ITO's order under section 186(1) of the Income Tax Act. The assessee firm was constituted in 1973, and registration was duly allowed until 1977-78. However, the ITO cancelled the registration for the assessment years 1978-79 to 1981-82 under section 186(1) of the Act. The AAC cancelled the ITO's order, stating that the firm was genuine, and the cancellation was unjustified. The Revenue appealed to the Tribunal, arguing that the ITO rightly cancelled the registration due to various defects in the firm. The assessee contended that since the firm was genuine, the registration should not have been cancelled. The assessee relied on various decisions to support their argument. After considering the submissions and the material on record, the Tribunal found that the firm was constituted in 1973, and its genuineness was not in doubt. The profits were shared as per the partnership deed. The ITO had pointed out several defects for cancelling the registration, which were present since the beginning when registration was allowed. The Tribunal held that despite these defects, registration was initially allowed, and therefore, it could not be cancelled later based on the same grounds. The Tribunal upheld the AAC's decision to cancel the ITO's order under section 186(1) of the Act. The cross-objections filed by the assessee were dismissed as they were in support of the AAC's order, which was upheld by the Tribunal. Consequently, both the appeals by the Revenue and the cross-objections by the assessee were dismissed by the Tribunal.
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