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1979 (10) TMI 24 - HC - Wealth-tax

Issues:
1. Whether gold ornaments not studded with jewels can be considered as jewellery under section 5(1)(viii) of the Wealth-tax Act?
2. Whether the definition of jewellery in the Act includes ornaments of gold that are not studded with jewels?

Analysis:
The High Court of Madhya Pradesh was presented with a reference under section 27(1) of the Wealth-tax Act, 1957 by the Income-tax Appellate Tribunal, Indore Bench. The primary issue revolved around the classification of gold ornaments not studded with jewels as jewellery under the Act. The assessee contended that such ornaments should not be included in the term "jewellery" under section 5(1)(viii) of the Act and should be exempt from wealth tax. The Tribunal disagreed with the assessee's contention, leading to the reference to the High Court for adjudication.

The interpretation of section 5(1)(viii) of the Act was crucial in determining whether gold ornaments without jewels could be classified as jewellery. The relevant provision excluded jewellery from wealth tax liability, but the term "jewellery" was not explicitly defined. The Finance Act of 1971 introduced retrospective operation to exclude jewellery from wealth tax, prompting a review of the definition. The Supreme Court's decision in CWT v. Arundhati Balkrishna highlighted the exclusion of jewellery from wealth tax calculation, influencing subsequent legislative amendments.

The court analyzed the definition of jewellery under section 5(1)(viii) and its interpretation in common parlance. The counsel for the assessee argued that ornaments of gold without jewels should not be considered jewellery based on common understanding. However, the court referenced the Gujarat High Court's decision in CWT v. Jayantilal Amratlal, which affirmed that jewellery encompasses ornaments of precious metals, including gold, irrespective of jewel presence. The Allahabad High Court also supported this interpretation in CWT v. His Highness Maharaja Vibhuti Narain Singh, emphasizing that the Explanation in the Act clarified the implicit inclusion of precious metal ornaments as jewellery.

Ultimately, the High Court concurred with the broader interpretation of jewellery, inclusive of gold ornaments, as established in previous judgments. The court upheld the Tribunal's decision to include the assessee's gold ornaments in the wealth tax computation, dismissing the contention that ornaments without jewels should be excluded. The judgment affirmed that the term "jewellery" encompassed ornaments made of precious metals, aligning with established legal precedents and the legislative intent behind the Act's provisions.

In conclusion, the High Court provided affirmative answers to the questions raised, supporting the inclusion of gold ornaments without jewels in the definition of jewellery under section 5(1)(viii) of the Wealth-tax Act. The court directed each party to bear their respective costs in the reference proceedings.

 

 

 

 

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