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Issues:
1. Deduction of a debt in the computation of taxable net wealth secured on exempted and non-exempted assets. 2. Interpretation of Section 2(m)(ii) of the Wealth Tax Act, 1957 regarding deduction of debt secured on different types of assets. 3. Application of legal principles from previous judgments to the current case. 4. Determining the deductibility of a debt secured on multiple assets with varying tax implications. 5. Analysis of whether the debt is secured on properties exempt from wealth tax. 6. Consideration of the nature of security for a debt and its impact on deduction eligibility. 7. Apportionment of the value of debt between different types of securities. 8. Clarification on the treatment of collateral security under Section 2(m)(ii) of the Wealth Tax Act. Comprehensive Analysis: The judgment by the High Court of Madras addresses the issue of whether an assessee is entitled to deduct a debt in the calculation of taxable net wealth when the debt is secured on both exempted and non-exempted assets. The case involves an assessee who owned two houses, one occupied by the assessee and the other let out to tenants, secured by a house building advance from LIC on two assets - the house under construction and a life policy. The assessing officer disallowed the debt deduction based on Section 2(m)(ii) of the Wealth Tax Act, which excludes debts secured on property exempt from wealth tax. However, the Tribunal disagreed, emphasizing that the debt was charged on a house property liable to wealth tax, irrespective of the exempt nature of the life policy. The court referred to a previous judgment where a similar issue arose, concluding that if a debt is secured on properties with varying tax implications, Section 2(m)(ii) cannot be applied. The court highlighted that the singular term "property" in the section includes plural assets, and disallowance applies only if all properties securing the debt are exempt from wealth tax. The court rejected the idea of apportioning the debt value between different securities, stating that the provision allows for a straightforward decision based on the tax status of all securing properties. Furthermore, the court addressed the argument that the life policy was a collateral security and not part of the actual security for the debt. The court clarified that even collateral security is considered as security under the Wealth Tax Act. The judgment concluded by affirming the deductibility of the debt secured on the house property and life policy, as the debt was not entirely secured on tax-exempt assets. The court ruled in favor of the assessee, emphasizing the importance of evaluating all securing properties under Section 2(m)(ii) for debt deduction purposes.
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