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        Tribunal denies assessee's petition, upholding assessment order for 1999-2000

        Mahesh Berry. Versus Assistant Commissioner Of Income-Tax.

        Mahesh Berry. Versus Assistant Commissioner Of Income-Tax. - TTJ 125, 139, Issues involved:
        The judgment deals with a miscellaneous petition filed by the assessee challenging the correctness of the order pronounced by the Tribunal in a specific case for the assessment year 1999-2000. The issues raised include errors in considering the direct nexus between money withdrawn from different firms and investment in a plot, failure to discuss decisions cited by the counsel, and the applicability of rectification under section 254 of the IT Act.

        Direct Nexus Issue:
        The assessee contended that the Tribunal's finding on the direct nexus between withdrawals from different firms and the investment in a plot was erroneous. The Tribunal had not properly appreciated the facts as the withdrawals were made from three different firms, leading to a mistaken conclusion.

        Failure to Discuss Cited Decisions:
        The assessee argued that the decisions cited by the counsel were not duly considered by the Tribunal, as observed in the order. The Tribunal's statement that the decisions were of no help indicated a lack of discussion and consideration, which was crucial for the case.

        Rectification under Section 254:
        The assessee sought rectification under section 254 of the IT Act based on the errors identified in the Tribunal's order. The counsel relied on a decision involving Honda Siel Power Products Ltd. vs. CIT to support the claim that failure to consider cited decisions constituted a mistake apparent from the records.

        Judicial Precedents and Legal Principles:
        The judgment referenced various legal precedents to establish the scope and limitations of rectification under section 254(2) of the IT Act. It highlighted that rectification is limited to correcting mistakes apparent from the record and does not extend to reviewing or recalling orders. The Tribunal's power to rectify is constrained by the requirement of manifest errors that do not necessitate a detailed reevaluation of evidence or arguments.

        Conclusion:
        After considering the rival submissions and legal principles, the Tribunal concluded that there was no mistake apparent from the record in its order. The judgment emphasized that rectification could only address errors that were clear and self-evident, not subject to differing interpretations. The miscellaneous application filed by the assessee was therefore rejected, and the original order upheld.

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        ActsIncome Tax
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