It appears that the case of M. S. Oberoi was referred to the Investigation Commission set up under the Taxation on Income (Investigation Commission) Act, 1947. The assessee was also served a notice by the Commission on ?r E about 18th August, 1951 under section 5(4) of the aforesaid Act, in respect of the assessment year 1940-41. The assessee filed a Writ Petition in March, 1953 in the Punjab High Court (Circuit Bench) Delhi to quash the proceedings before the said Commission. According to the assessee, the Solicitor General, who appeared in the High Court F after a rule had been issued, gave an undertaking that all proceedmgs against the assessee would be dropped. Upon such undertaking being given, the rule was discharged. The Income-tax Officer, District II (2) Calcutta issued seven notices dated 5th November, 1954 to the assessee under s. 34(1-A) of the Income Tax Act, 1922 in respect of G assessment years 1940'41 to 1946-47 alleging therein that the appell~nt had partly escaped assessment. In spite of the ObJect10n of the assessee that in the absence of any ~at7rial oi:i record, the Income Tax Officer had no jurisd1ct10n to issue any notice under 34( I-A), the said Officer H proceeded to make assessment in respect of the assessment years 1942-43, 1943-44, 1944-45 and 1945-46. The assessee filed an appeal to the Appellate Assistant Commissioner of Income Tax who remanded