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1987 (6) TMI 14 - HC - Income Tax

Issues:
1. Assessment of income tax for the year 1977-78 under the status of an association of persons.
2. Determination of individual rights and ownership of the co-owners of a building.
3. Referral of questions of law to the High Court under section 256(2) of the Income-tax Act.

Analysis:

Issue 1: Assessment of income tax as an association of persons
The petitioner, an assessee to income tax, challenged the assessment year 1977-78 conducted under the status of an association of persons. The firm in question was formed under a partnership deed with three partners and six minors. The income assessed included income from property, leading to a dispute regarding the assessment status. The petitioner argued that the share income should be computed individually, not as an association of persons. However, the Revenue contended that the property was jointly owned, and the share of each co-owner was not definite or ascertainable. The Appellate Tribunal upheld the assessment status as an association of persons, stating that the property was co-owned without clear indications of individual contributions. The High Court declined to refer the questions of law raised by the petitioner, affirming the Tribunal's decision.

Issue 2: Determination of individual rights and ownership
The crux of the dispute lay in the ownership rights of the co-owners of a building. The petitioner claimed that the building belonged to three adults and six minors, with their investments being ascertainable. Conversely, the Revenue argued that the documents did not specify the extent of each person's right, indicating joint ownership without clear individual shares. The Appellate Tribunal concurred with the Revenue's stance, emphasizing the lack of clarity regarding individual contributions and rights. Consequently, the status of an association of persons was deemed appropriate due to the indeterminate nature of ownership shares.

Issue 3: Referral of questions of law
The petitioner sought to refer questions of law to the High Court under section 256(2) of the Income-tax Act, challenging the Tribunal's decision. However, both the Tribunal and the High Court rejected the referral, maintaining that no referable question of law arose from the assessment. The High Court concluded that the assessment status as an association of persons was justified based on the co-ownership structure of the property and the absence of clear individual rights. As a result, the original petition was dismissed, upholding the Tribunal's decision and denying the referral of legal questions to the High Court.

 

 

 

 

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