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        <h1>Court emphasizes strict compliance for partnership firm registration under Income-tax Act</h1> The court ruled against the assessee, emphasizing the importance of strict compliance with the statutory requirements for the continuation of registration ... Failure To File, Firm Registration, Income Tax Act, Minor Admitted To Benefits Of Partnership, Revised Returns Issues:1. Interpretation of Section 184(7) regarding the continuation of registration for a partnership firm.2. Compliance with the requirement of filing a declaration along with the return of income under Section 184(7).3. Validity of the original return filed by the firm and the subsequent filing of a revised return.Analysis:1. The judgment dealt with the interpretation of Section 184(7) concerning the continuation of registration for a partnership firm. The provision states that if there is no change in the firm's constitution or partners' shares and a declaration is filed with the return of income, the registration granted shall have effect for subsequent assessment years. The court emphasized that the declaration serves as evidence of no change in the firm's structure. However, the effect of registration for the following year is conditioned upon filing the declaration, even if there was no actual change. The court held that the declaration must be filed along with the return of income, and any delay in filing it cannot be considered valid.2. The judgment addressed the compliance requirement of filing a declaration along with the return of income under Section 184(7). The court clarified that the declaration in Form 12 is necessary to confirm the status quo of the firm's constitution and partners' shares. It emphasized that the provision mandating the filing of the declaration along with the return is not merely directory but essential for the continued effect of registration. The court held that any declaration filed after the return of income cannot be deemed in accordance with the law.3. The judgment also discussed the validity of the original return filed by the firm and the subsequent filing of a revised return. The court noted that the original return listed a minor partner admitted to the benefits of the partnership as a full-fledged partner. The firm later filed a revised return correcting this error. However, the court found that the revised return was not valid as it did not alter any substantive details apart from the minor partner's description. Since the required declaration was not filed along with the original return, the firm was not entitled to the continued effect of registration for the relevant assessment year.In conclusion, the court ruled against the assessee, emphasizing the importance of strict compliance with the statutory requirements for the continuation of registration for partnership firms under the Income-tax Act.

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