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Issues involved: Determination of whether the properties were assets of the firm and if they could be converted into partners' personal property without a registered deed.
First Issue - Assets of the Firm: The firm consisted of four partners, and two properties were initially assets of the firm. Later, a new building was constructed using firm funds and a bank loan. The partners then decided to treat the properties as individual properties without a registered deed. The Income Tax Officer (ITO) did not accept this, leading to an appeal. The Appellate Authority Commission (AAC) allowed the claim, but the Department appealed to the Tribunal. The Tribunal, following precedent, held that a deed of conveyance was necessary for the transfer of firm property to partners during the partnership. The Tribunal referred questions to the High Court for opinion. Second Issue - Conversion into Partners' Personal Property: Partners claimed the properties as separate from the firm based on an agreement and book entries. However, the court held that mere book entries or agreements between partners were insufficient to convert firm property into personal property. The court cited legal provisions and previous judgments to support this decision. It emphasized that without a proper deed of conveyance, partners could not claim firm property as their separate and individual property while the firm continued. The court answered both questions in favor of the Department. The judgment highlights the importance of legal formalities in transferring property from a firm to individual partners and clarifies that book entries alone are not sufficient for such conversions.
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