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Issues:
1. Interpretation of section 64(1)(iii) of the Income-tax Act, 1961 regarding indirect transfers of assets between family members. 2. Determination of intimate connection between transfers for the purpose of evading tax provisions. 3. Application of legal principles to establish interconnected transfers and avoidance of tax implications. 4. Assessment of transfers made on the same day without direct benefit as a device to escape tax liabilities. Detailed Analysis: The High Court of Gujarat addressed four questions referred by the Income-tax Appellate Tribunal regarding the assessment years 1968-69 and 1969-70. The primary issue revolved around whether the transfers made by the assessee to his brother's sons and subsequently to his wife constituted indirect transfers to evade tax liabilities under section 64(1)(iii) of the Act. The Tribunal initially ruled in favor of the assessee, stating that there was no intimate connection between the transfers, thus excluding the income from the wife's sale of the property from the assessee's total income. However, the High Court noted that the Tribunal erred in applying the test of benefit to the transferor in determining the interconnected nature of the transfers. The correct legal test, as per Supreme Court precedents, focused on whether the transfers were part of the same transaction and adopted as a device to avoid tax implications. The Court emphasized that the transfers of equal value made on the same day without a specific reason indicated an intimate connection, regardless of direct benefit to the transferor. The Court highlighted the legislative intent behind section 64(1)(iii) to tax income arising from indirect transfers to family members. It clarified that the absence of direct benefit to the transferor did not negate the interconnected nature of the transfers. By transferring the property through a chain of transactions, the assessee attempted to circumvent tax liabilities, leading to the inclusion of the income from the wife's sale in the assessee's total income. Ultimately, the Court ruled in favor of the Revenue on questions regarding indirect transfers and the interconnected nature of the transactions. The judgment emphasized the application of legal principles to prevent tax evasion through complex transfer mechanisms within family relationships. The reference was disposed of accordingly, with no order as to costs.
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