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Issues Involved:
1. Legitimacy of the Income Tax Officer's method of computing income. 2. Taxability of sums received from Damodar Das Burman. 3. Taxability of sums received from Amarnath Bose. 4. Estimate of income from the purchase of properties under mortgage decrees. 5. Taxability of interest in the transaction with Kumar Ganesh Singh. 6. Attribution of income to the correct year. 7. Deductibility of arrears of royalty paid by the assessee. Detailed Analysis: 1. Legitimacy of the Income Tax Officer's Method of Computing Income: The primary issue was whether the Income Tax Officer's method of calculating the assessee's income, which involved disregarding the assessee's accounting method, was warranted by law. The court held that under section 13 of the Indian Income Tax Act, 1922, the Income Tax Officer was entitled to adopt a method of his own if the assessee's method did not properly reflect income, profits, and gains. The court affirmed that the officer's method, which included both actual receipts and sums allocated to interest in the year of computation, was legitimate. 2. Taxability of Sums Received from Damodar Das Burman: The court examined whether the entire sum of Rs. 2,78,000 received from Damodar Das Burman should be treated as interest income. The assessee had allocated Rs. 18,816 to interest and claimed the balance as capital repayment. The court applied the presumption that payments are attributable to interest first unless otherwise appropriated by the debtor or creditor. Since the assessee had not previously allocated any sums to interest, the court held that Rs. 2,71,190 of the Rs. 2,78,000 was taxable as interest income. 3. Taxability of Sums Received from Amarnath Bose: The court considered the taxability of Rs. 1,38,955 received from Amarnath Bose, out of which Rs. 20,000 was appropriated to interest in the relevant year. Additionally, Rs. 1,40,107 was appropriated to interest from sums received in previous years, with Rs. 80,000 already taxed in the previous year. The court held that Rs. 60,107, representing appropriations from sums received in earlier years, was properly regarded as income in the year of appropriation. Thus, the total taxable amount was Rs. 1,84,013. 4. Estimate of Income from the Purchase of Properties Under Mortgage Decrees: The court addressed the Income Tax Officer's estimate of Rs. 1,04,364 as income from properties purchased under mortgage decrees, where the assessee admitted only Rs. 4,364. The court upheld the estimate, noting that the assessee had not provided evidence to displace the officer's estimate, which was based on the history of assessments and the nature of the assessee's business. 5. Taxability of Interest in the Transaction with Kumar Ganesh Singh: The court examined whether the interest of Rs. 6,09,571 due from Kumar Ganesh Singh was received and assessable. The transaction involved the transfer of assets valued at Rs. 38,09,569. The court held that while the first six items of assets could be considered money's worth, the seventh item, promissory notes amounting to Rs. 17,34,596, was not equivalent to cash. Thus, the assessee did not receive taxable income for this portion. The court also rejected the Crown's argument that the assets should be applied to interest first, given the nature of the transaction. 6. Attribution of Income to the Correct Year: The court agreed with the High Court that any interest received from Kumar Ganesh Singh should be attributed to the year 1332 Fasli, as the title to the assets transferred passed in that year. 7. Deductibility of Arrears of Royalty Paid by the Assessee: The court considered whether the assessee could deduct Rs. 67,872 paid as arrears of royalty for the Kajora Colliery. The court held that this payment was not a deductible expense under section 10 of the Act, as it was not rent for the period of the assessee's possession nor an expenditure incurred for earning profits or gains. It was a sum paid to acquire possession of the colliery, not a business expense. Conclusion: The court affirmed the High Court's decision on all issues except the seventh, where the appeal of the Income Tax Commissioner was allowed. The case was referred back to the High Court for further proceedings consistent with the judgment. The Commissioner was awarded three-fourths of his costs for the consolidated appeals, with the High Court to address the costs below.
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