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<h1>Court remands case for reassessment, emphasizing core legal issues on interest levy and claim rejection.</h1> The court set aside previous orders and remanded the case to the Assessing Officer for reassessment in accordance with the law. This decision was based on ... Technical collaboration agreement with Singapore co. – assessee erroneously deducted tax @ 30 % instead of 15 % of royalty payable to the collaborator for period April 94 to March 98–AO levied interest u/s 201(1A) for short deduction of tax for period Oct. 98 to Jan. 2000 - assessee contended that interest should not be levied as dept. is available with excess fund paid erroneously – Cir. 333 deal with conflict between provisions of IT Act & DTAA should be considered - matter remanded to AO Issues:1. Justification of interest levy under section 201(1A) for a specific period.2. Rejection of claim for set off and refund due to amendments in Income-tax Act.3. Interpretation of technical collaboration agreement and royalty payments.4. Consideration of double taxation avoidance agreement and its impact on tax deductions.5. Failure to raise legal questions at earlier stages of appeal.Analysis:1. The case involved an appeal under section 260A of the Income-tax Act against an order passed by the Income-tax Appellate Tribunal. The primary issues for consideration were the justification of interest levy under section 201(1A) and the rejection of the claim for set off and refund. The appellant contested the levy of interest for a specific period despite excess payments made earlier, raising questions on the correctness of the Tribunal's decision.2. The technical collaboration agreement between the assessee and a Singapore-based company was crucial in determining royalty payments. The agreement specified royalty payments equal to 3% of the net sale price for the use of technical know-how. Discrepancies arose when the assessee realized an erroneous deduction of income tax at 30% instead of the correct rate of 15% under section 195 of the Act. The disagreement on tax rates and the applicability of the double taxation avoidance agreement added complexity to the case.3. The court highlighted the importance of considering provisions such as section 90(2) of the Act, which clarifies legal issues related to international agreements for tax relief and double taxation avoidance. The failure of the Assessing Officer to address these provisions and relevant circulars was noted. Despite objections raised by the Revenue regarding the timing of raising legal questions, the court emphasized the significance of addressing fundamental legal issues from the outset.4. Ultimately, the court decided to set aside the previous orders and remand the matter to the Assessing Officer for reassessment in accordance with the law. The decision was based on the necessity to address the core legal questions raised by the appellant, ensuring a comprehensive review of the case considering all relevant legal provisions and agreements. The judgment underscored the importance of a thorough examination of legal issues to ensure a just and informed decision in tax matters.