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        <h1>Court rules deductions based on net income overriding prior section, Tribunal to reassess by deadline.</h1> <h3>Assistant CIT Versus Abcon Engineering And Systems P. Limited, CIT Versus Abcon Engineering And Systems P. Limited, and vide versa, Webb india Ltd. Versus Depputy CIT</h3> Assistant CIT Versus Abcon Engineering And Systems P. Limited, CIT Versus Abcon Engineering And Systems P. Limited, and vide versa, Webb india Ltd. Versus ... Issues Involved:1. Entitlement to deduction under section 80-O of the Income-tax Act.2. Applicability of section 80AB in overriding section 80-O.3. Correctness of Tribunal's decision in condoning delay and entertaining appeals.4. Computation of deduction based on gross or net income.5. Consistency of Tribunal's decisions with jurisdictional High Court judgments.Detailed Analysis:Issue 1: Entitlement to Deduction under Section 80-O- The core issue revolves around whether the assessee is entitled to a deduction under section 80-O, which allows for a deduction of 50% of the income received in convertible foreign exchange and brought into India.- In I.T.A. No. 86/99, the Tribunal allowed the deduction, which was contested by the Revenue.- Similarly, in I.T.R.C. No. 25/2000, the Tribunal upheld the assessee's claim for deduction, which was again challenged by the Revenue.- In I.T.A. No. 3254/2005 and I.T.A. No. 3270/2005, the Tribunal initially allowed the deduction, but upon appeal, reversed its decision, leading to further appeals by the assessee.Issue 2: Applicability of Section 80AB Overriding Section 80-O- The significant legal question is whether section 80AB, which provides a non obstante clause, overrides the provisions of section 80-O.- Section 80AB states that deductions under Chapter VI-A should be computed based on the net income, not gross receipts.- Various High Courts, including a Full Bench of the Delhi High Court in CIT v. Chemical and Metallurgical Design Co. Ltd. [2001] 247 ITR 749, and the Calcutta High Court in CIT v. M. N. Dastur and Co. P. Ltd. [2000] 243 ITR 10, have ruled that section 80AB has an overriding effect.- The Supreme Court in Motilal Pesticides (I) P. Ltd. v. CIT [2000] 243 ITR 26 affirmed that section 80AB clarifies that deductions should be based on net income.Issue 3: Correctness of Tribunal's Decision in Condoning Delay and Entertaining Appeals- In I.T.A. No. 86/99, the court framed the question of whether the Tribunal was correct in entertaining the appeal by condoning the delay.- The judgment does not provide specific details on this issue, indicating that the primary focus was on the substantive issue of deductions under section 80-O.Issue 4: Computation of Deduction Based on Gross or Net Income- The crux of the matter in I.T.A. No. 3254/2005 and I.T.A. No. 3270/2005 is whether deductions under section 80-O should be computed based on gross receipts or net income.- The Tribunal's decision to allow deductions based on net income was contested by the assessee, who argued that deductions should be based on gross receipts.- The court, referencing the overriding effect of section 80AB, ruled that deductions should be computed based on net income.Issue 5: Consistency of Tribunal's Decisions with Jurisdictional High Court Judgments- The assessee argued that the Tribunal erred by not following the jurisdictional High Court's decision in CIT v. M. N. Dastur and Co., which favored the assessee.- The court noted that the decision in C.P. No. 580/1998 was specific to the facts of that case and was influenced by a prior Calcutta High Court ruling, which has since been overruled by the Supreme Court.- Therefore, the court did not find the jurisdictional High Court's earlier decision binding in this case.Conclusion:- The court concluded that section 80AB overrides section 80-O, and deductions must be computed based on net income.- The Tribunal is instructed to reconsider the objections regarding deductions to arrive at the net income in terms of section 80-O, considering the nature of deductions under section 80AB.- The remand is for the limited purpose of computation in accordance with this order, and the Tribunal must complete the proceedings by December 31, 2006.- In I.T.R.C. No. 3270/2005, all questions were answered in favor of the Revenue and against the assessee.- The judgment emphasizes the precedence of section 80AB in determining the allowable deductions under section 80-O.

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