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Issues:
1. Taxation of share income in a partnership firm post-partition. 2. Applicability of Section 64 of the Income Tax Act. 3. Interpretation of overriding title in favor of other family members. Analysis: The judgment by the High Court of Bombay dealt with the taxation of share income in a partnership firm post-partition. The assessee, a partner in a firm, filed a return as an individual after a partition in the family. The Income Tax Officer (ITO) initially held that the income accrued to the assessee should be taxed in the hands of an unregistered firm. However, the Appellate Authority Commissioner (AAC) disagreed and deleted the addition made by the ITO. The Revenue appealed to the Income-tax Appellate Tribunal, which recognized the partition and held that the income did not belong to the assessee but to the members of the joint family. The Tribunal rejected the applicability of Section 64 of the Income Tax Act, which deals with clubbing of income. The Tribunal referred specific questions to the High Court, including whether the share income was subject to an overriding title in favor of other family members. The Tribunal reframed the question for reference, focusing on the issue of whether the profits of the partnership firm could be excluded from the assessee's income post-partition. The High Court, citing a previous judgment, held that income received by the assessee post-partition was subject to an overriding title in favor of other family members, and therefore, could not be wholly taxed in the hands of the assessee. The court ruled in favor of the assessee, answering the question in the affirmative and against the Revenue, awarding costs to the assessee. In conclusion, the judgment clarified that post-partition, income received by the assessee in a partnership firm was not solely taxable in the hands of the assessee but was subject to an overriding title in favor of other family members. The court emphasized the importance of recognizing the agreement among family members regarding the income distribution post-partition. The judgment also highlighted the distinction between individual income and income meant for the joint family, ensuring a fair tax treatment in such cases.
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