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1984 (4) TMI 12 - HC - Income Tax

Issues:
- Assessment of salary received by a managing partner in a partnership firm in the hands of a Hindu undivided family.
- Determination of whether the salary received should be assessed as individual income or as part of the Hindu undivided family's income.

Analysis:
The case involves a dispute over the assessment of the salary received by a managing partner in a partnership firm, specifically whether the salary should be considered as individual income or assessed in the hands of the Hindu undivided family. The assessee, who is the karta of a Hindu undivided family, received a salary from the partnership firm where he was a partner. The Income-tax Officer included the salary in the total income of the assessee-Hindu undivided family for the assessment year. The Appellate Tribunal, however, accepted the assessee's contention that the salary should be excluded from the total income. The Revenue sought a direction to the Tribunal to refer the question for the opinion of the court.

The partnership deed provided that the managing partner, the assessee in this case, was to be paid a monthly salary for his services. The Tribunal held that the salary paid to the managing partner should be treated as individual income as it was for services rendered to the firm. The Revenue contended that the Tribunal did not consider the specific services rendered by the managing partner to justify the salary payment. However, the court noted that the partnership deed clearly outlined the roles of the partners, with the managing partner designated to oversee the firm's management. Since the third partner was not paid any additional amount beyond the share income, the court inferred that the salary paid to the managing partner was for services rendered. The court emphasized that the managing partner's role in overseeing the firm's affairs implied the necessity of managing the business, and there was no evidence to suggest otherwise. Therefore, the court upheld the Tribunal's decision to exclude the salary from the total income of the assessee-Hindu undivided family.

In conclusion, the court dismissed the reference petition, ruling in favor of the assessee, and stated that there would be no order as to costs.

 

 

 

 

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