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2010 (1) TMI 1229 - HC - Income Tax

Issues Involved:
The issue involves determining whether the conduction royalty amount received on letting out the business should be classified as "Business Income" or "Income from other sources" for the assessment year 2003-04.

Judgment Summary:

Issue 1: Classification of Conduction Royalty Amount

The High Court upheld the decision of the Income Tax Appellate Tribunal, which classified the conduction royalty amount as income from business. The Tribunal found that the assessee retained control of the business, as evidenced by the terms of the agreement and the fact that licenses and permits were in the assessee's name. The agreement specified that the conductor would vacate the premises and remove equipment upon termination or expiry. Based on these terms, the Tribunal concluded that the royalty income should be assessed as income from business. The High Court agreed that this interpretation was correct, and no substantial question of law was found to arise in the appeal. Therefore, the appeal was dismissed with no order as to costs.

This summary provides a detailed overview of the judgment, highlighting the key issues and the court's decision on the classification of conduction royalty amount for the assessment year 2003-04.

 

 

 

 

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