B.P. Jeevan Reddy, C.J.@mdashTwo questions are referred u/s 256(2) of the Income Tax Act, 1961, namely :
"(1) Whether, on the facts and in the circumstances of the case, the assessee-company was entitled to the allowance of Rs. 1,59,501 by way of interest in the assessment year 1966-67 ?
(2) Whether, on the facts and in the circumstances of the case, the Tribunal was justified in allowing the loss of Rs. 5,985 to the assessee on the sale of U. P. State Development Loan ?"
2. So far as question No. 1 is concerned, it is brought to our notice that a Bench of this court has answered an identical question in the case of this very assessee in favour of the Department and against the assessee in
3. So far as question No. 2 is concerned, it is also concluded by a decision of this court in a similar matter, viz., Income Tax Reference No. 862 of 1978, disposed of on August 20, 1990,