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1993 (9) TMI 43 - HC - Income Tax

Issues:
1. Interpretation of provisions related to exemption on dividend income under section 13(2)(h) of the Income-tax Act, 1961.
2. Applicability of section 13(2)(h) in the context of shares received as donation or bonus.
3. Taxability of dividend income on shares purchased by the assessee.

Analysis:
The judgment pertains to a case where the Income-tax Appellate Tribunal considered the forfeiture of exemption on dividend income from certain shares for the assessment year 1973-74. The Tribunal initially held that the assessee did not meet the requirement of owning shares carrying at least 20% of voting power, as per section 13(3) of the Income-tax Act. However, it allowed the appeal on the basis that shares held by a charitable trust should not be considered as held by the assessee, resulting in the exemption of dividend income amounting to Rs. 1,31,370.

Subsequently, reference applications were filed by both the assessee and the Department, leading to the Tribunal posing specific questions for the High Court's opinion. The key issues raised included the necessity of owning shares with 20% voting power under section 13(3) and the fulfillment of conditions for exemption regarding bonus shares and shares received as donation.

During the hearing, the court referred to a previous decision regarding the interpretation of section 13(2)(h) of the Act, emphasizing the requirement of a positive act by a trust in investing funds in a concern to trigger the provision. The court concluded that section 13(2)(h) would not apply to dividend income from shares received as donation or bonus. However, it acknowledged that dividend income from shares purchased by the assessee would fall under the purview of section 13(2)(h) and be taxable in the assessee's hands.

Consequently, the court held that the assessee was entitled to exemption on dividend income from shares received as donation or bonus, while the dividend income from shares purchased would be subject to taxation under section 13(2)(h). This resulted in a partial affirmative and partial negative response to the questions posed by the Tribunal. The court's decision was based on the specific circumstances and legal interpretations presented during the proceedings.

In conclusion, the High Court's judgment clarified the application of section 13(2)(h) in the context of dividend income from different categories of shares, providing insights into the interpretation of relevant provisions under the Income-tax Act, 1961.

 

 

 

 

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