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        <h1>Tribunal directs ITO to recompute income, reconsiders all grounds raised by assessee.</h1> The Tribunal upheld the AAC's decision to set aside the assessment due to discrepancies in assessing capital gains from the sale of two flats. The ITO was ... - Issues:1. Discrepancy in allowing deductions for municipal tax in computing income from house property.2. Dispute regarding vacancy claim for rental income in computing income from house property.3. Assessment of capital gains from the sale of two flats.4. Assessment of recovered amount from co-owners as municipal taxes.5. Discrepancy in allowing deductions under sections 80T and 80G.6. Dispute regarding credit for advance tax, interest charged, and discretion under Rule 40 of IT Rules, 1962.Detailed Analysis:1. The appeal arose from the assessment for the assessment year 1974-75, with the assessee challenging various aspects of the assessment. The AAC set aside the assessment based on the discrepancy in assessing capital gains from the sale of two flats due to the failure of the ITO to follow proper procedures. The AAC directed the ITO to recompute the total income after observing the correct procedure. The Tribunal upheld the AAC's order, leading to a reassessment by the ITO focusing on the capital gains aspect, which was the central issue addressed by the AAC.2. The assessee contended that the ITO should have considered the points covered by the remaining five grounds of appeal that were not addressed by the AAC during the reassessment. The CIT (A) dismissed the appeal, relying on legal precedents to support the ITO's decision not to reconsider the points from the remaining grounds of appeal. The Tribunal disagreed with the CIT (A) and held that the ITO was incorrect in refusing to reconsider the points covered by the five grounds not addressed by the AAC.3. The Tribunal emphasized that the AAC's order setting aside the assessment did not imply reconsideration of all points, including those from the remaining grounds of appeal. The Tribunal cited legal cases to support its decision that the ITO should have re-examined all grounds raised by the assessee, not just the one addressed by the AAC. The Tribunal concluded that the assessee should not be bound by the ITO's original findings on the points covered by the remaining grounds of appeal.4. Due to the procedural error of not raising objections before the ITO or CIT (A) regarding the remaining grounds of appeal, the Tribunal decided to grant relief to the assessee. Citing a Supreme Court judgment, the Tribunal ordered the proceedings to be returned to the stage where the AAC left the five grounds undecided. The AAC was directed to provide findings on all remaining grounds, and the case would then go back to the ITO for reassessment based on the AAC's directions and any further directions given after hearing the remaining grounds.5. Ultimately, the Tribunal allowed the appeal, emphasizing the importance of granting relief to the assessee based on all relevant grounds raised, regardless of procedural oversights. The decision aimed to ensure a fair and comprehensive reconsideration of all issues raised by the assessee during the assessment process.

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        ActsIncome Tax
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