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Issues:
Challenge to order under Section 7A of the Employees Provident Fund & Miscellaneous Provisions Act, 1952 based on partner's status as an employee and misinterpretation of amended provision regarding infancy period. Analysis: The petitioners contested an order passed by the Assistant Provident Fund Commissioner, Mumbai under Section 7A of the Employees Provident Fund & Miscellaneous Provisions Act, 1952. The challenge was twofold. Firstly, it questioned whether a partner working in a firm could be considered an employee of the firm. Secondly, it argued that the authority misinterpreted the amended provision concerning the infancy period. The petitioners claimed that despite an amendment deleting the infancy period provision, they should still be entitled to the benefit for three years from the firm's inception. The petitioners relied on legal precedents to support their arguments, emphasizing the distinct status of partners compared to employees within a firm. The High Court referred to a previous ruling by the Apex Court which clarified that partners, as employers, cannot be classified as employees of the firm. The Court emphasized that even if a partner receives remuneration for special attention, it does not alter their status as a partner and bring them within the definition of an employee. The Court highlighted the well-settled legal principle that partners have a different status from employees in a firm, rejecting the argument that partners should be considered employees based on beneficial status. Moreover, the Division Bench's decision in another case established that the infancy period benefit granted to establishments should be maintained for the period initially granted, irrespective of subsequent amendments. In this case, the petitioners were entitled to a three-year infancy period under the law at the time of the firm's establishment. Despite an amendment deleting this provision, the Court held that the petitioners should not be denied the benefit of the infancy period. The Court emphasized that the amended provision did not have a retrospective effect to exclude firms already entitled to the benefit under the previous law. The authority's failure to recognize this principle led to the quashing of the impugned order. Consequently, the High Court set aside the impugned order and remanded the matter to the authority for fresh consideration, instructing them to make a decision after hearing the petitioners and taking into account the legal observations provided in the judgment. The Court ruled in favor of the petitioners, emphasizing the importance of upholding established legal principles and entitlements for firms under the law.
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