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        <h1>High Court dismisses Revenue's appeal under Income-tax Act, upholding Tribunal decision on interest amount.</h1> <h3>Commissioner of Income-Tax Versus Sanghi Finance And Investment Ltd.</h3> The High Court of Madhya Pradesh dismissed the Revenue's appeal under section 260A of the Income-tax Act, 1961, as it did not involve any substantial ... Whether the appeal involves any substantial question of law out of the impugned order of the Tribunal or in other words, whether the two questions proposed by the appellant involve any substantial questions so as to admit the appeal? - Since, in this case, the Tribunal came to a conclusion that the transaction in question is a genuine one then in such case, the same had to be given effect to as it is. The Tribunal, therefore, was justified in deleting the addition made by the Assessing Officer and the Commissioner of Income-tax (Appeals) relating to Rs. 88,919 and Rs. 97,309 as an assumed amount of interest said to have been earned by the assessee. - appeal does not involve any substantial question of law. The appeal thus fails and is hereby dismissed in limine. Issues:- Appeal filed by Revenue under section 260A of the Income-tax Act, 1961- Involvement of substantial question of law in the appeal- Treatment of interest on loan given to sister company for assessment year 1994-95Analysis:The judgment delivered by the High Court of Madhya Pradesh pertains to an appeal filed by the Revenue under section 260A of the Income-tax Act, 1961. The central issue was whether the appeal involved any substantial question of law based on the orders passed by the Income-tax Appellate Tribunal. The court emphasized that the prerequisite for admitting such an appeal is the presence of a substantial question of law. The court, after hearing the arguments and examining the case record, concluded that the appeal did not raise any substantial question of law as required under section 260A. Consequently, the court dismissed the appeal, upholding the Tribunal's order.Regarding the treatment of interest on a loan given to a sister company for the assessment year 1994-95, the dispute arose when the Assessing Officer and the Commissioner of Income-tax (Appeals) added the interest amount to the assessee's income. However, the Tribunal disagreed and deleted the addition, stating that the transaction of the interest-free loan was genuine. The court agreed with the Tribunal's finding, highlighting that the decision was based on factual analysis and the terms of the transaction between the parties. The court emphasized that the decision on whether interest should be charged on a loan is a contractual matter between the parties and not solely governed by law. As the Tribunal found the transaction genuine, it was justified in deleting the additional interest amounts added by the lower authorities.Furthermore, the court noted that no other significant issue was raised by the appellant in support of the appeal. The court specifically mentioned that the proposed question by the appellant did not involve any substantial question of law. Consequently, the court dismissed the appeal, emphasizing that the Tribunal's decision on the genuine nature of the transaction must be upheld. The judgment concluded by dismissing the appeal without any costs incurred.

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