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Issues:
1. Entitlement to set off or carry forward business loss of earlier years against the income for the relevant year. 2. Determination of whether the business in which the loss was originally sustained had been discontinued. 3. Assessment of whether the business carried on during the relevant year was a different one. Analysis: 1. The case involved a reference under section 256(2) of the Income-tax Act, 1961, where the Tribunal had to decide on the entitlement of the assessee to set off or carry forward business loss of earlier years against the income for the relevant year. The assessee, a company engaged in job work of flattening wires, faced challenges due to the closure of the factory supplying wires in 1975. The assessing authority denied the set off, stating that the business had been discontinued. The Tribunal upheld this decision. The assessee argued that the temporary halt in operations did not constitute discontinuance, as the subsequent trading activity was part of the same business due to unity of control and interlacing of funds. The court referred to precedents emphasizing unity of control as the decisive test for defining the same business, ultimately ruling in favor of the assessee. 2. The second issue revolved around the determination of whether the business in which the loss was originally sustained had been discontinued. The Department contended that the business of flattening wires had ceased in 1975, and the subsequent trading activity did not constitute a continuation of the same business. The court, relying on legal precedents, highlighted the importance of unity of control in defining the same business. It noted that if a person carries on multiple activities at different times, it does not necessarily constitute separate businesses if there is unity of control. In this case, the court found unity of control as the same person was involved in both the job work of flattening wires and trading activities, leading to a conclusion in favor of the assessee. 3. The final issue centered on whether the business carried on during the relevant year was a different one. The Tribunal's decision was critiqued for not aligning with the tests laid down by the Supreme Court in relevant precedents. The court emphasized the need to assess unity of control in determining the continuity of business activities. It held that the two lines of business carried out by the assessee were interconnected and part of the same business due to the involvement of the same person and unity of control. Consequently, the court answered the questions in the negative and in favor of the assessee, highlighting the importance of unity of control in defining the continuity of business for the purpose of set off or carry forward of losses.
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