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1979 (12) TMI 14 - HC - Income Tax

Issues: The judgment addresses the computation of accumulation in excess of 25% of total income u/s 11(1)(a) of the Income-tax Act, 1961, and whether outgoings other than statutory deductions should be considered for this purpose.

Comprehensive Details:

Issue 1: Computation of Accumulation in Excess of 25% of Total Income:
The case involved the estate of Shri V. L. Ethiraj, where the Income-tax Officer (ITO) assessed that the accumulation exceeded 25% of the total income for the assessment year 1968-69, bringing the excess to tax. The assessee contended that income-tax paid should be excluded from the computation of accumulation. The Tribunal observed that total income should be determined under each head of income, allowing relevant statutory deductions, and then assess if any other outgoings could be deducted based on their nature. The Tribunal set aside the assessment and directed the ITO to redo it in accordance with these observations.

Issue 2: Consideration of Outgoings Other Than Statutory Deductions:
The Tribunal did not address whether income-tax paid should be deducted from the income for accumulation computation. It emphasized determining total income under each head with statutory deductions before considering other outgoings. The Tribunal erred in its direction, as the income derived from property held under trust for charitable purposes, as per s. 11(1)(a), should not be computed under different heads with statutory deductions. The court held that the Tribunal's directions were incorrect and answered the first question in the negative. As the first question was answered negatively, the court did not address the second question regarding additional outgoings beyond statutory deductions.

The judgment highlights the importance of correctly computing total income and considering statutory deductions before determining accumulation for charitable trusts under the Income-tax Act, 1961.

 

 

 

 

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