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1962 (9) TMI 40 - HC - VAT and Sales Tax

Issues:
- Interpretation of the term "dealer" under section 2(c) of the U.P. Sales Tax Act.
- Determining whether the assessee qualifies as a dealer in the State of Uttar Pradesh.
- Analysis of whether assembling railway vans constitutes carrying on business in Uttar Pradesh.
- Examination of the definition of business under the Sales Tax Act.
- Assessment of the contract for the supply of railway vans in relation to conducting business in the State.
- Consideration of the repetition or continuity of acts of buying and selling in Uttar Pradesh to establish business presence.
- Comparison of the definition of business under the Sales Tax Act with the Income-tax Act.
- Application of legal principles from the case law to determine the existence of business activities in the State.
- Decision on the taxability of selling goods in Uttar Pradesh without conducting business in the State.

Detailed Analysis:

The judgment by the Allahabad High Court, delivered by Justice Manchanda, revolves around the interpretation of the term "dealer" under section 2(c) of the U.P. Sales Tax Act. The core issue is whether the assessee, a manufacturer of railway vans, qualifies as a dealer in Uttar Pradesh based on the business activities conducted within the State. The court was tasked with determining if the assembling of railway vans in Uttar Pradesh amounts to carrying on business in the State, as per the provisions of the Sales Tax Act.

The Judge (Revisions) Sales Tax initially held that while the assessee might be considered a dealer, it was not actively engaged in the business of selling within Uttar Pradesh. The State's Senior Standing Counsel argued that the mere act of assembling the vans in Uttar Pradesh constituted conducting business in the State. However, the court delved into the definition of a dealer, emphasizing that conducting business involves more than a single transaction. The court highlighted that to be deemed a dealer, there must be a continuity of buying and selling activities within the State.

The judgment scrutinized the contract for the supply of railway vans to the North Eastern Railway, emphasizing that a single contract alone might not establish the business presence required for tax liability. The court referenced the definition of business under the Sales Tax Act, stressing the need for repetitive acts of buying and selling to constitute business activity. It distinguished the concept of business under the Sales Tax Act from that under the Income-tax Act, highlighting the importance of continuity in transactions.

Drawing from legal precedents, including the case of Senaji Kapur Chand v. Devi Chand, the court reiterated that the essence of business lies in the repetition of acts. While acknowledging that the assessee was engaged in business activities, the court concluded that a single contract without additional transactions did not suffice to establish a business presence in Uttar Pradesh. Consequently, the court ruled against the department, emphasizing the lack of evidence to support the assessee's classification as a dealer in the State.

In a subsequent reference (Sales Tax Reference No. 253 of 1958), the court reiterated its decision, aligning with the earlier judgment and ruling in favor of the assessee. The court emphasized consistency in its approach and directed the department to bear the costs of the reference. The judgments collectively underscored the importance of continuous business activities to qualify as a dealer under the U.P. Sales Tax Act, highlighting the significance of multiple transactions and a sustained business presence within the State for tax liability to apply.

 

 

 

 

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