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1978 (6) TMI 33 - HC - Income Tax

Issues:
Interpretation of Section 10 of the Estate Duty Act regarding the inclusion of property gifted by the deceased in the dutiable estate.

Detailed Analysis:
The judgment by the High Court of Bombay involved a question regarding the application of Section 10 of the Estate Duty Act in a case where a deceased individual had gifted a portion of a jointly owned property to his children before his death. The issue revolved around whether the entire value of the deceased's share in the property should be included in the estate for estate duty assessment or only the portion that the deceased continued to occupy during his lifetime.

The deceased jointly owned a property called "Jamal Mansion" with his widow, and he gifted his half share to his children while continuing to reside in a portion of the building. The Assistant Controller initially held that the full value of the deceased's share should be included in the dutiable estate under Section 10 of the Act, which deems property taken under a gift to pass on the donor's death if possession and enjoyment were not immediately assumed by the donee to the exclusion of the donor.

Upon appeal, the Appellate Controller agreed that Section 10 applied but restricted the amount to be included to the proportionate value of the property actually occupied by the deceased during his lifetime, citing a decision by the Calcutta High Court. Subsequently, the Tribunal upheld this decision, rejecting the revenue's argument that the entire amount should be liable for duty.

The High Court analyzed the interpretation of Section 10, noting that the provision deems property to pass on the donor's death only to the extent that possession and enjoyment were not assumed by the donee to the exclusion of the donor. This interpretation was supported by the Calcutta High Court and later affirmed by the Supreme Court in a separate case. The Supreme Court clarified that estate duty is payable only on the part of the property not assumed by the donee for possession and enjoyment to the exclusion of the donor.

Based on the consistent interpretation of Section 10 by the Calcutta High Court and the Supreme Court, the High Court of Bombay concluded that the Appellate Controller and the Tribunal were correct in their application of the law. Therefore, the High Court answered the referred question in favor of the accountable person, requiring the revenue to bear the costs of the reference.

 

 

 

 

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