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HC held that the Tribunal erroneously remanded the matter for fresh assessment despite having recorded findings favorable to the revisionist and dismissing the revenue's appeal. The court found no justification for remand when all material relating to the transaction was available. The impugned order was set aside, and the matter was remanded to the Tribunal to decide the case by passing a reasoned order after hearing all stakeholders, effectively allowing the revision petition with directions for a comprehensive appellate review.