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1990 (8) TMI 6 - HC - Income Tax

Issues:
1. Admission of a new ground regarding benami share income.
2. Inclusion of business profits of a partnership firm in the income of an assessee Hindu undivided family.

Analysis:
1. The case involved questions of law referred to the High Court regarding the admission of a new ground related to benami share income and the inclusion of business profits in the income of the Hindu undivided family. The assessee was a Hindu undivided family with the karta, his wife, and son being partners in a firm named Messrs. J. S. Distributors. The Income-tax Officer included the firm's income in the assessee's total income, alleging the firm was not genuine. However, the Appellate Assistant Commissioner held the firm to be genuine. The Revenue appealed, and an alternative contention was raised that certain partners were benamidars representing the Hindu undivided family.

2. The Tribunal, after considering the evidence and submissions, held that 52% of the business profits of Messrs. J. S. Distributors should be added to the assessee's income, considering the wife and son of the karta as representatives of the Hindu undivided family. The High Court found that the Tribunal did not consider all relevant facts and evidence in reaching this conclusion. The High Court directed the Tribunal to rehear the appeal, considering all evidence, including documents from previous appeals, affidavits, and wills. The Tribunal was instructed to provide a fresh finding after considering all relevant evidence and to allow parties to present additional evidence if necessary.

In conclusion, the High Court declined to answer the questions of law directly and directed the Tribunal to reconsider the matter comprehensively, taking into account all relevant evidence and documents to determine whether the wife and son of the karta genuinely represented the Hindu undivided family in the partnership firm.

 

 

 

 

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