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Issues:
1. Classification of remuneration as income from other sources or salary. 2. Interpretation of the term 'salary' under section 17. 3. Determination of the assessee's status as an employee. Analysis: The judgment by the Appellate Tribunal ITAT Ahmedabad-C involved the classification of remuneration received by the assessee, a Managing Director, as either income from other sources or salary. The Income Tax Officer (ITO) treated the remuneration as income from other sources, which was upheld by the Additional Commissioner of Income Tax (AAC). The AAC based the decision on the provisions in the company's articles allowing the Managing Director to receive remuneration, bonus, and profits, indicating a contractual relationship between the parties. During the appeal, the assessee's Advocate cited a decision by the Kerala High Court and highlighted clauses in the company's articles and the terms of the assessee's appointment to support the claim that the remuneration should be considered as salary. On the other hand, the departmental representative argued that the remuneration was not covered under section 17's definition of 'salary' and pointed out that the standard deduction had not been claimed by the assessee for the relevant assessment year. The Tribunal delved into the question of whether the remuneration qualified as 'salary' income. It noted that while section 17 provides an inclusive definition of 'salary,' the absence of the term 'salary' does not preclude remuneration from being classified as such. The Tribunal analyzed the relationship between the Managing Director and the company, emphasizing the control and terms of appointment outlined in the company's articles. Drawing from the Kerala High Court decision, which emphasized supervisory control as a determinant of employee status, the Tribunal concluded that the assessee was an employee entitled to claim the Managing Director's remuneration as salary. In conclusion, the Tribunal allowed the appeal, ruling in favor of the assessee and recognizing the remuneration received as salary income. The judgment highlighted the importance of assessing the nature of the relationship between a Managing Director and a company to determine the classification of remuneration for tax purposes.
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