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1988 (12) TMI 74 - HC - Income Tax

Issues:
- Interpretation of exemption under section 11 of the Income-tax Act despite infringements of section 13(1)(a) of the Act.

Analysis:
The judgment pertains to a case where the Commissioner of Income-tax sought direction for the Income-tax Appellate Tribunal to refer the case to the High Court for decision. The petitioner, a trust registered under section 12A of the Income-tax Act, faced denial of exemption under section 11 due to alleged infringements of section 13 of the Act. The Income-tax Officer found that the trust made deposits and investments in entities where interested parties were involved, without adequate interest or security as required by law. However, the Appellate Assistant Commissioner ruled in favor of the trust, stating that section 13 provisions did not apply as the trust was established before the Act's commencement.

The Appellate Tribunal upheld the Appellate Assistant Commissioner's decision, leading to the Revenue's appeal seeking to refer a question of law to the High Court. The Tribunal rejected this application, prompting the Commissioner to approach the High Court directly. The main contention revolved around the interpretation of the second proviso to section 13(1)(c)(ii) of the Act, which saved benefits for trusts created before the Act's commencement. The Tribunal's decision was influenced by the possibility of differing interpretations and referenced similar decisions by other Tribunals.

During the proceedings, the Revenue cited a contradictory view by the Gujarat High Court in a different case. The trust's counsel argued that the proposed question for reference did not accurately reflect the Tribunal's order, highlighting the absence of a finding on the infringement of section 13(1)(a). The High Court acknowledged the need for a revised question to capture the true legal dispute between the parties. Ultimately, the High Court directed the Appellate Tribunal to state the case and refer it for the Court's decision, emphasizing the necessity of addressing the legal question regarding exemption under section 11 despite alleged violations of section 13 of the Income-tax Act.

 

 

 

 

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