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        <h1>Tribunal affirms block assessment, partners jointly liable under Section 188A, remands for reassessment.</h1> The Tribunal upheld the validity of a single block assessment for the entire period, invoking Section 187, and held that the joint and several liability ... Block Assessment in search case, Computation Of Undisclosed Income Issues Involved:1. Validity of a single block assessment for a firm with multiple changes in its constitution.2. Applicability of Section 187 of the Income-tax Act to block assessments under Section 158BC.3. Joint and several liability of partners under Section 188A.4. Opportunity of being heard for all partners.5. Limitation period for completion of block assessment.6. Specific objections against additions made in block assessments.Issue-wise Detailed Analysis:1. Validity of a Single Block Assessment for a Firm with Multiple Changes in its Constitution:The main objection by the appellant, M/s Mamatha Motels, was that there were multiple changes in the constitution of the firm during the block period, and hence, the Assessing Officer erred in passing a single assessment order for the entire block period from 1-4-1986 to 12-12-1996. The Tribunal noted that the firm had undergone several changes in its constitution, but each partnership deed contained clauses that the retirement or death of a partner did not dissolve the firm. Therefore, the identity of the firm continued throughout the block period, justifying a single assessment.2. Applicability of Section 187 of the Income-tax Act to Block Assessments under Section 158BC:The appellant argued that Section 187, which deals with changes in the constitution of a firm, applies only to assessments under Section 143 or 144 and not to block assessments under Section 158BC. The Tribunal, however, held that the provisions of Section 187 could be invoked in block assessments under Section 158BC. They reasoned that excluding Section 187 would render the computation of undisclosed income under Section 158BB(1) unworkable. Thus, the Tribunal concluded that a single assessment for the entire block period was valid under Section 187.3. Joint and Several Liability of Partners under Section 188A:The Tribunal addressed the issue of joint and several liability of partners under Section 188A. It was argued that the present partners should not be liable for actions of the firm when they were not partners. The Tribunal held that Section 187 inherently makes present partners answerable for past liabilities, and this joint and several liability applies irrespective of whether the assessment is under Section 143(3), Section 148, or Section 158BC.4. Opportunity of Being Heard for All Partners:Several appeals were filed by retired partners who contended that they were not given an opportunity to be heard during the assessment proceedings, despite being made liable for the tax demand. The Tribunal found merit in this contention and remanded the matter to the Assessing Officer to provide an opportunity for all partners, both retired and current, to be heard on the merits of the additions made based on seized materials.5. Limitation Period for Completion of Block Assessment:One of the appeals raised the issue of the assessment order being barred by limitation. The Tribunal clarified that the assessment on the firm was made under Section 158BC read with Section 158BD, and the notice was issued on 1-8-1997. Therefore, the period of limitation for completing the assessment ended on 31st August 1998. Since the assessment order was passed on 26-8-1998, it was within the limitation period.6. Specific Objections Against Additions Made in Block Assessments:Various grounds were raised against the specific additions made in the block assessments for different assessment years within the block period. The Tribunal did not delve into these grounds in detail, as they were remanding the assessments to the Assessing Officer. They directed the Assessing Officer to reframe the assessments de novo, considering the submissions of all partners.Conclusion:The Tribunal upheld the validity of a single block assessment for the entire period, invoking Section 187, and held that the joint and several liability of partners under Section 188A was applicable. However, they remanded the assessments to the Assessing Officer to provide an opportunity for all partners to be heard and to reframe the assessments accordingly. The appeals were allowed for statistical purposes, and the matter was set aside for fresh consideration by the Assessing Officer.

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