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Interpretation of revenue receipt for taxation during the assessment year 1973-74. Analysis: The case involved a reference under section 256(1) of the Income Tax Act, 1961, where the Tribunal questioned the taxability of a sum received and credited to the Dharmada account by the assessee. The Income Tax Officer treated the sum as the assessee's income under "Other sources," leading to appeals and subsequent hearings. The assessee argued that the amounts were collected by a third party and then passed on to the assessee for charitable purposes, not constituting business receipts. The Tribunal, relying on a previous decision, held the sum as revenue receipts. The High Court analyzed the facts, emphasizing that the amounts were not related to the assessee's business activities and were received from various institutions for charitable purposes. The Court highlighted a letter from one institution confirming the charitable nature of the payments. The Court criticized the Tribunal's reasoning that lack of interest payment to institutions made the sum a business receipt, stating that the purpose of the amount received was crucial. Citing a Supreme Court case, the Court concluded that the amounts were received in trust for charitable purposes, not as business receipts, and thus not taxable as income. The Court referred to a Supreme Court case involving Dharmada amounts paid by customers to a trading concern, emphasizing that such payments were not part of the price but specifically for charitable purposes. The Court rejected the Tribunal's finding that no trust was created by the customers, highlighting that the nature of the payments and their utilization for charity were clear. The Court distinguished the present case, where institutions voluntarily paid the assessee for charity, maintaining a separate account for such funds. The Court concluded that the amounts were held in trust for charity and not treated as business receipts, aligning with the Supreme Court's decision. The Court held that the Tribunal erred in treating the amounts as revenue receipts and ruled in favor of the assessee, declaring the amounts non-taxable income. In summary, the High Court ruled that the amounts received and credited to the Dharmada account were not business receipts but held in trust for charitable purposes, following a Supreme Court precedent. The Court criticized the Tribunal's reasoning and concluded that the amounts were not taxable as income.
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