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Issues:
1. Interpretation of tax law regarding protective assessment on an assessee-trust. 2. Determination of income attribution from a partnership firm to an assessee. 3. Validity of protective assessment made by the Income-tax Officer. Analysis: 1. The first issue pertains to the interpretation of tax law regarding protective assessment on an assessee-trust. The Tribunal referred a question to the High Court under section 256(1) of the Income-tax Act, 1961, questioning the correctness of the protective assessment made by the Income-tax Officer on the assessee-trust. The Tribunal found that the Income-tax Officer's decision was contrary to the settled legal position that a trustee can join a partnership firm in a representative capacity. The High Court upheld the Tribunal's decision, emphasizing that the trust deed authorized the trustees to engage in business activities as partners, and the partnership deed clearly indicated that the partners had joined the firm in a representative capacity for the trusts. Therefore, the High Court concluded that the protective assessment made by the Income-tax Officer was unwarranted, ruling in favor of the assessee-trust. 2. The second issue involves the determination of income attribution from a partnership firm to an assessee. The Tribunal considered whether the income from the partnership firm, Jayshankar B. Upadhyay, should be assessed as the income of the assessee-trust. The Commissioner of Income-tax (Appeals) had previously held that the share of income from the firm was assessable in the hands of the assessee-trust for the relevant assessment years. The High Court concurred with the Tribunal's findings, noting that the partnership deed explicitly stated that the partners had joined the firm as trustees of the assessee-trust, representing the trust. Based on these findings, the High Court concluded that the income from the partnership firm belonged to the assessee-trust and not to the individual partners, affirming the Tribunal's decision. 3. The final issue concerns the validity of the protective assessment made by the Income-tax Officer. The Tribunal found that the Income-tax Officer's decision to assess the income on a protective basis against the individual partners was incorrect, given that they had joined the partnership firm in a representative capacity for the trusts. The High Court agreed with the Tribunal, emphasizing that the trustees were authorized to conduct business activities as partners, and the partnership deed clearly reflected their representative capacity for the trusts. Consequently, the High Court ruled against the Revenue, holding that there was no justification for a protective assessment against the individual partners and disposed of both references in favor of the assessees. In conclusion, the High Court's judgment clarified the legal principles governing the assessment of income from a partnership firm in the context of a trust, affirming that trustees can join partnerships in a representative capacity, and income attribution should align with the terms of the trust and partnership deeds.
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