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Issues:
1. Interpretation of section 64(1)(iii) of the Income-tax Act, 1961 regarding the inclusion of interest on amounts in the accounts of minors in the hands of the assessee for the assessment year 1976-77. Detailed Analysis: The High Court of Delhi was presented with two references under section 256(1) of the Income-tax Act, 1961, one from the assessee and the other from the Revenue, regarding the inclusion of interest on amounts in the accounts of two minors in the partnership firm for the assessment year 1976-77. The dispute centered around the interpretation of section 64(1)(iii) of the Act. The assessee contended that only the share income and interest attributable to the capital contributed by the minors should be assessable in her hands. However, the Income-tax Officer included the entire interest income in the hands of the assessee, rejecting the assessee's argument. The Commissioner of Income-tax (Appeals) upheld this decision, leading to an appeal before the Tribunal. The Tribunal concluded that interest amounts credited to the minors' accounts were to be excluded, as they constituted loans or deposits, not additional capital. However, interest on the balance amounts was rightly included in the assessee's hands under section 64(1)(iii) of the Act. The Tribunal partially allowed the assessee's appeal. Both the assessee and the Revenue requested reference of the questions to the High Court. The court considered the scope of section 64(1)(iii) based on previous judgments and held that interest on accumulated profits would be assessable in the hands of the father or mother of the minors admitted to the benefits of the partnership. The court emphasized the nexus between the minor's income and their admission to the partnership benefits. Consequently, the court answered both questions in the affirmative, favoring the assessee for the first question and the Revenue for the second question. The references were disposed of based on the court's interpretation of section 64(1)(iii) of the Income-tax Act, 1961.
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