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1963 (8) TMI 64 - HC - Income Tax

Issues:
- Interpretation of rule 2 of the Income-tax Rules for firm registration under section 26A
- Compliance with section 58 of the Indian Partnership Act, 1932 for firm registration

Interpretation of Rule 2 of Income-tax Rules:
The case involved a reference under section 66(1) of the Indian Income-tax Act, 1922, concerning the entitlement of the assessee firm to registration under section 26A. The firm, comprising three partners with equal shares, applied for registration under section 26A on March 31, 1958. Additionally, the firm also sought registration under section 58(1) of the Indian Partnership Act, 1932, on the same day. However, the Registrar returned the statement due to deficiencies in stamping and prescribed particulars, and the entry was made in the Register of Firms only on November 15, 1958. The crux of the issue revolved around the timing of firm registration under the Indian Partnership Act, 1932, as a prerequisite for registration under section 26A.

Compliance with Section 58 of Indian Partnership Act, 1932:
The court analyzed the provisions of section 58 and 59 of the Indian Partnership Act, 1932, in light of previous judicial interpretations. Referring to precedents, the court emphasized that mere submission of the statement under section 58 does not constitute registration; instead, registration is completed only when the Registrar records the entry in the Register of Firms as per section 59. The court cited cases from different jurisdictions, including England, to highlight the distinction between submission of documents and actual registration. The judgment underscored that compliance with section 58 alone is insufficient, and registration is contingent upon the Registrar's satisfaction and formal entry in the Register of Firms. The court also referenced a case emphasizing the Registrar's authority in determining compliance with section 58, barring judicial review unless malafide actions are alleged.

Conclusion:
Ultimately, the court concluded that the firm was not registered under the Indian Partnership Act, 1932, during the relevant previous year, leading to a negative answer to the question of entitlement to registration under section 26A. The judgment highlighted the significance of fulfilling procedural requirements, including Registrar's satisfaction and entry in the Register of Firms, for valid firm registration. The decision was made without imposing any costs. Additionally, the judgment mandated forwarding a copy to the Appellate Tribunal as per statutory requirements under the Indian Income-tax Act, 1922.

 

 

 

 

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