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        <h1>Tribunal Overturns Commissioner's Decision for Exceeding Jurisdiction</h1> The Tribunal allowed the appeal, holding that the Commissioner of Income Tax exceeded jurisdiction under Section 263 of the IT Act by making findings on ... - Issues Involved:1. Jurisdiction under Section 263 of the IT Act, 1961.2. Validity of the assessment order.3. Genuineness of the payments made to the sub-contractor.4. Reasonableness of the compensation paid to the sub-contractor.5. Procedural fairness and adequacy of notice.Issue-wise Detailed Analysis:1. Jurisdiction under Section 263 of the IT Act, 1961:The core issue in this appeal was whether the Commissioner of Income Tax (CIT) was justified in assuming jurisdiction under Section 263 of the Income Tax Act, 1961. The CIT issued a notice to the assessee proposing to cancel the assessment made by the Income Tax Officer (ITO) on the grounds that the assessment order was erroneous and prejudicial to the interest of revenue. The CIT's notice highlighted four main reasons: the close relationship between the sub-contractor and the main partner of the assessee firm, the alleged non-rendering of services by the sub-contractor, the inadequacy of resources of the sub-contractor to execute the work, and the CIT(A)'s approval of disallowance in the subsequent assessment year (1981-82).2. Validity of the Assessment Order:The assessee argued that the ITO had allowed the deduction for the payment made to the sub-contractor after thoroughly examining the books of account and other relevant details. The ITO was satisfied with the genuineness of the agreement, and the compensation paid was deemed reasonable based on past records and material evidence. The CIT, however, found that no proper scrutiny was made by the ITO regarding the nature and quantum of work done by the sub-contractor and whether the compensation was commensurate with the work done.3. Genuineness of the Payments Made to the Sub-contractor:The CIT questioned the genuineness of the payments made to M/s Faberect, a firm owned by a close relative of the main partner of the assessee firm. The CIT's order indicated that the compensation paid was not commensurate with the work done by the sub-contractor. However, the Tribunal noted that the CIT had not provided sufficient notice to the assessee regarding this specific issue, which was beyond his jurisdiction.4. Reasonableness of the Compensation Paid to the Sub-contractor:The CIT's order was based on the suspicion that the compensation paid to the sub-contractor was excessive. The Tribunal found that the CIT had not issued a notice to the assessee to show cause whether the payment made to M/s Faberect was commensurate with the services rendered. The Tribunal held that the CIT's finding on this issue was beyond his jurisdiction and that the order was based on suspicion, conjecture, and surmises.5. Procedural Fairness and Adequacy of Notice:The Tribunal emphasized that the CIT had not given any notice to the assessee regarding the reasonableness of the compensation paid to the sub-contractor. The Tribunal found that the CIT's order was half-hearted and not fully convinced, indicating that the jurisdiction was not assumed in accordance with the law. The Tribunal quashed the CIT's order on the grounds of procedural unfairness and restored the ITO's assessment order.Conclusion:The Tribunal allowed the appeal, holding that the CIT had exceeded his jurisdiction under Section 263 of the IT Act, 1961, by making findings on issues not mentioned in the notice issued to the assessee. The Tribunal found that the CIT's order was based on suspicion and conjecture and that proper notice was not given to the assessee. The Tribunal restored the ITO's assessment order and noted that the findings were without prejudice to the rights of the parties in the subsequent assessment year (1981-82).

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        ActsIncome Tax
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