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1991 (8) TMI 18 - HC - Income Tax

Issues:
1. Interpretation of deed of assignment regarding ownership of superstructure and assessment of income under relevant heads.
2. Assessment of income from electricity charges under the head 'Business' or 'Other sources'.

Analysis:
1. The first issue revolves around the interpretation of a deed of assignment and the correct assessment of income arising from a superstructure built on leased land. The court referred to a previous decision regarding the ownership of the superstructure and concluded in favor of the assessee based on the interpretation of the deed. The court held that the income should be assessed under the head 'Business' rather than 'House property'.

2. The second issue concerns the assessment of income from electricity charges under the appropriate head. The Tribunal had initially assessed the income under 'Other sources', but the Commissioner directed it to be treated as income from 'Business'. The Department challenged this decision on procedural grounds, arguing that the issue was not raised earlier. However, the court found that the issue could be raised for the first time before the lower appellate authority. Despite this, the Tribunal did not provide any reasoning for its decision to assess the income under 'Business'. As a result, the court declined to answer this question and remanded the matter to the Tribunal for a fresh decision after considering relevant evidence and determining the nature of the receipt.

Overall, the judgment addressed the issues of proper interpretation of legal documents, correct assessment of income under different heads, and procedural aspects of raising grounds for assessment. The court emphasized the importance of providing reasons for decisions and ensuring that all relevant evidence is considered in determining the appropriate assessment of income.

 

 

 

 

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