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2019 (2) TMI 180 - HC - Income Tax


Issues:
Challenge to order under Section 188A of the Income Tax Act, 1961 regarding recovery of dues from a retired partner of a partnership firm.

Analysis:
The petitioner, a former partner of a partnership firm, contested the recovery proceedings initiated against him for the dues of the firm from the assessment year 2006-07. The petitioner claimed to have retired from the partnership firm in 1999, providing a communication and endorsement by the other partner as evidence. However, the respondent disregarded this claim, insisting on a formal resolution for retirement, leading to the application of Section 188A of the Act for recovery from the petitioner as a partner.

Upon review, the Court found that the respondent erred in dismissing the petitioner's retirement claim without legal basis under the Partnership Act 1932. The Court highlighted that no provision necessitated a resolution for a partner's retirement in a partnership at will. However, the Court acknowledged that additional factors needed consideration beyond retirement status for imposing dues on the petitioner.

The Court identified two key aspects overlooked by the Authority. Firstly, the genuineness of the retirement communication dated 10.12.1999 required examination. Secondly, the liability of an outgoing partner for third-party dues post-retirement, without public notice or knowledge, needed assessment. Consequently, the Court set aside the impugned order and directed a fresh consideration by the respondent, granting the petitioner an opportunity for a hearing. The Court maintained neutrality on the issues, leaving all contentions open for future adjudication.

 

 

 

 

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