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1985 (3) TMI 41 - HC - Wealth-tax

Issues:
1. Interpretation of provisions of section 4(1)(a)(i) of the Wealth-tax Act, 1957.
2. Inclusion of transferred amount in the net wealth of the assessee.

Analysis:
The case involved a dispute regarding the inclusion of an amount of Rs. 1,40,000 in the net wealth of the assessee under section 4(1)(a)(i) of the Wealth-tax Act, 1957. The amount was transferred by the assessee to a trust for his would-be wife and later handed over to the lady who became the assessee's wife. The Tribunal applied the decision of the Supreme Court in Philip John Plasket Thomas v. CIT [1963] 49 ITR 97 (SC) to determine that the provision in question would not be attracted in this case. The Tribunal held that since the actual payment was made to the lady before the marriage, the Supreme Court's decision was applicable, even though the counsel for the Revenue tried to distinguish the cases based on the Income-tax Act, 1922. The Tribunal emphasized that the timing of the transfer was crucial, not the date of marriage.

The key contention was whether the funds transferred to the lady before marriage should be included in the assessee's net wealth. The trust deed specified that the funds would be handed over after marriage, but the trustees transferred the amount to the lady's father before the marriage took place. The court highlighted that the relevant date for consideration was when the transfer occurred, not when the marriage was solemnized. Despite arguments about the trust deed's terms, the court emphasized that the actual payment date was significant in determining the legal consequences. The court rejected the Revenue's argument that the funds should be considered the wife's property only after marriage, stating that the payment before marriage was crucial.

Ultimately, the court dismissed the tax case petition, stating that the questions raised were covered by the Supreme Court's decision cited earlier. The court emphasized that the legal consequences of the payment made before the marriage could not be ignored, even if it contradicted the trust deed's terms. The judgment highlighted the importance of the timing of the transfer in determining the applicability of the Wealth-tax Act provisions.

 

 

 

 

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