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1990 (6) TMI 57 - HC - Income Tax

Issues:
Interpretation of section 50 of the Estate Duty Act - Deduction of probate court-fee from estate duty payable.
Difference in valuation for probate court-fee and estate duty assessment.

Analysis:
The High Court of Bombay addressed a reference under section 64(1) of the Estate Duty Act, 1953, focusing on the deduction of probate court-fee from estate duty payable. The main issue was whether the court-fee paid on the deceased's estate should be fully deductible from the estate duty or in proportion to the properties included in the estate. The court noted a variance in the principal value of the estate considered for probate court-fee and estate duty assessment, without clear reasons for the difference provided in the record.

The Assistant Controller of Estate Duty allowed a deduction of probate court-fee in a specific amount, leading to a discrepancy in the deduction claimed. The court considered arguments referencing decisions from other High Courts, such as Andhra Pradesh and Karnataka, regarding the proportionate deduction of court-fees based on properties subject to estate duty. However, the court found these decisions not directly applicable to the case at hand, emphasizing the need to determine if the court-fee was paid on properties passing on death.

Section 50 of the Estate Duty Act provides for relief from estate duty where court-fees are paid for obtaining representation to the deceased's estate. The court emphasized that the deduction should be from the estate duty payable on properties subject to estate duty. It clarified that the absence of estate duty on certain properties under section 33 does not negate the leviability of estate duty on those properties under section 5.

The court distinguished cases involving joint Hindu families where the court-fees were paid on the entire family property, holding that only the deceased's interest was subject to estate duty. The court aligned with the Tribunal's view that the full deduction of probate court-fee was permissible under section 50, emphasizing that the deduction should be based on properties on which estate duty is leviable. Therefore, the court concluded that the entire court-fee was allowable as a deduction from the estate duty payable, resolving the issue raised in the reference.

In conclusion, the High Court of Bombay clarified the interpretation of section 50 of the Estate Duty Act regarding the deduction of probate court-fee from estate duty payable, emphasizing the leviability of estate duty on properties passing on death. The court's decision aligned with the Tribunal's view, allowing for the full deduction of probate court-fee from the estate duty payable based on the properties subject to estate duty.

 

 

 

 

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