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Issues:
Interpretation of section 85 of the Income-tax Act, 1961 in relation to dividends received on shares transferred to spouse under section 64(iii) for assessment years 1965-66 and 1966-67. Analysis: The case involved a dispute regarding the eligibility of the assessee for relief under section 85 of the Income-tax Act, 1961, concerning dividends received on shares transferred to the spouse under section 64(iii) for the assessment years 1965-66 and 1966-67. The Income-tax Officer initially taxed the dividends received by the assessee on the transferred shares under section 64(iii) and allowed a rebate under section 85. However, the Commissioner of Income-tax later directed the withdrawal of the rebate, stating that the assessee did not fulfill the requirements of section 85 as the shares were owned by the spouse. The Tribunal, on appeal, upheld the relief granted by the Income-tax Officer, finding that the Commissioner's decision was erroneous. The primary contention was whether the assessee met the conditions under section 85 for claiming the rebate. The Revenue argued that the assessee did not qualify as the owner of the shares and that the dividends could not be considered income in his hands. However, the court noted that section 64(iii) aims to prevent tax evasion by treating income from assets transferred to a spouse as the income of the individual transferring the assets. Therefore, the shares transferred to the spouse were deemed to belong to the assessee, making the dividend income attributable to the assessee. The court referenced a Supreme Court judgment and a Madras High Court decision to support its interpretation. The Supreme Court ruling in CIT v. T. H. Gotla emphasized that income from a partnership involving the wife and minor children of the assessee should be treated as the assessee's income for setting off losses. Similarly, the Madras High Court in CIT v. P. N. Ramaswamy held that a wife's dividend income must be treated as the assessee's income under section 64(iii). These cases reinforced the principle that income attributed to the spouse due to asset transfers should be clubbed with the assessee's income for tax purposes. In conclusion, the court held in favor of the assessee, affirming that the conditions of section 85 were met, and the assessee was entitled to the relief on the dividends received. The judgment highlighted the legislative intent behind section 64(iii) and supported the Tribunal's decision to grant the rebate to the assessee. No costs were awarded in the case.
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