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1986 (8) TMI 41 - HC - Income Tax

Issues:
1. Whether the income of the assessee was assessable under the head 'Business'?
2. Determination of the nature of income earned by the assessee.
3. Consideration of the agreement for sale of the property in question.
4. Thorough factual investigation required for determining the nature of income.
5. Difficulty faced by the Tribunal in computing income as "rent" from property.
6. Remittance of the matter to the Income-tax Officer for redoing the assessment.
7. Consistency in decision-making for different assessment years.

Analysis:
The judgment pertains to income tax assessments for various years where the main issue revolves around whether the income of the assessee should be assessed under the head 'Business'. The assessee, a private limited company, earned income by allowing film companies to shoot films on its property, training racehorses, and selling dairy products. Initially, the Income-tax officer categorized the income as "rents" from property and miscellaneous receipts under "Other sources," rejecting the assessee's claim to compute it under the head "Business". However, the Appellate Assistant Commissioner accepted the plea of the assessee and computed the income under the head "Business," allowing deductions for expenses incurred.

On appeal by the Department, the Tribunal reversed the decision, stating that the assessee did not conduct any business but merely permitted film producers to shoot films on the premises without any specific business agreements. The Tribunal found it necessary to conduct a thorough factual investigation to determine whether the activities constituted a business under the Income-tax Act. The Tribunal highlighted the need to consider the nature of income earned over multiple years, emphasizing the substantive and systematic conduct required for an activity to qualify as a business.

The judgment emphasized the importance of considering the agreement for sale of the property in question, clarifying that the agreement did not confer ownership title to the assessee. Due to the Tribunal's difficulty in categorizing the income as "rent" for certain assessment years, the matter was remitted to the Income-tax Officer for reassessment to ensure consistency in decision-making across different years. The court declined to answer the specific question raised, directing the Tribunal to reevaluate the appeals in line with the observations made in the judgment.

 

 

 

 

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