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1990 (10) TMI 131 - AT - Income Tax

Issues:
1. Dispute over addition of Rs. 43,179 as business income for assessment year 1982-83.

Analysis:
The appeal was filed by the assessee challenging the addition of Rs. 43,179 as business income for the assessment year 1982-83. The amount in question was received on the opening ceremony of the assessee's shop. The assessee, a registered partnership firm, distributed this amount among the partners based on their profit-sharing ratio. The dispute centered around whether this amount constituted taxable income. The assessee argued that the amount received was in the nature of gifts given on the occasion of the shop's opening ceremony and hence should not be treated as business income. The counsel for the assessee relied on a Madras High Court decision to support this argument. On the other hand, the Departmental Representative (D.R.) relied on the orders of the lower authorities to justify the addition of the amount as business income.

Upon considering the submissions and the Madras High Court decision cited by the assessee's counsel, the tribunal upheld the addition of Rs. 43,179 as business income. The tribunal noted that while the Madras High Court decision held gifts received on the occasion of a housewarming ceremony as non-taxable, the crucial factor was whether the amount received was in the course of carrying on the business. The tribunal emphasized that if the gift was received due to the recipient's employment or business activities, it would constitute taxable income. In this case, since the gifts were directly correlated with the assessee's business and were distributed among the partners based on their profit-sharing ratio, the tribunal concluded that the amount was indeed taxable income. Therefore, the tribunal confirmed the action of the lower authorities in treating the amount as business income.

In conclusion, the tribunal dismissed the assessee's appeal, upholding the addition of Rs. 43,179 as taxable business income for the assessment year 1982-83.

 

 

 

 

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