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1978 (12) TMI 6 - HC - Income Tax

Issues: Assessment of firm as unregistered for the year 1969-70, Continuance of registration for the firm, Interpretation of partnership deed upon partner's death, Requirement of a fresh partnership deed for change in firm's constitution.

Analysis:
The judgment by the High Court of Allahabad addressed the issue of whether an assessee-firm was rightly treated as an unregistered firm for the assessment year 1969-70. The firm, consisting of four partners, faced a change in its constitution due to the death of one partner and the addition of a new partner. The Income Tax Officer (ITO) refused registration continuation, deeming it a case of a change in constitution rather than dissolution. The Tribunal upheld this decision, considering various factors such as the closure of accounts and the wording of the partnership deeds. The Court agreed with the Tribunal's findings, emphasizing that the circumstances indicated a change in constitution rather than dissolution. The old partnership deed explicitly stated that the death of a partner would not dissolve the firm. The Court also referred to a Full Bench decision stating that a fresh partnership deed is not always required if the existing deed provides sufficient information post-constitution change. However, in this case, the old deed did not clearly indicate the incoming partner or their share post the partner's death, necessitating a new agreement. Consequently, the Court affirmed the Tribunal's decision that the firm was not entitled to registration continuation for the year 1969-70, ruling in favor of the department and against the assessee. The Commissioner was awarded costs amounting to Rs. 200.

 

 

 

 

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