Home Case Index All Cases Income Tax Income Tax + HC Income Tax - 1983 (2) TMI HC This
Issues:
1. Whether the deceased's deposit and interest received from a controlled company constitute a transfer of assets for the purpose of section 17 of the Estate Duty Act. 2. Whether the interest received by the deceased from the company can be considered a benefit accruing to him from the company. Analysis: The judgment pertains to a case where the deceased, a director of a controlled company, had maintained a current and deposit account with the company and received interest on the deposits. The Asst. Controller included a sum in the estate value as representing the deceased's slice of the company's assets under section 17. On appeal, the Appellate Controller held that no benefit was received by the deceased, leading to the exclusion of the sum from the estate value. The Revenue appealed to the Income-tax Appellate Tribunal, arguing that the current account implied a transfer of property and the interest received constituted a benefit. The Tribunal, however, ruled that although the deceased received interest, no transfer of assets to the company occurred. The Revenue challenged this decision, leading to a reference to the High Court. The High Court analyzed whether the deceased's deposit and interest received constituted a transfer of assets under section 17. It was established that the money lent or invested by the deceased qualified as property under the Estate Duty Act. The court considered the definition of disposition under the Estate Duty (Controlled Companies) Rules, emphasizing that the deposit of amounts with the company resulted in a change of resources, amounting to a disposition. Referring to previous case law, the court held that once money was deposited with the company, it became the company's asset, and the deceased became an investor or creditor, not the owner of the asset. Therefore, the court concluded that a disposition had occurred when the deceased deposited the amount with the company, attracting section 17 of the Estate Duty Act. Conclusively, the High Court answered the referred question affirmatively in favor of the Revenue, indicating that there was indeed a transfer of assets involved in the deceased's deposit with the company. The Tribunal was directed to quantify the benefit for the purposes of section 17. The Revenue was awarded costs, including counsel fees.
|