R. DALMIA versus COMMISSIONER OF INCOME-TAX, NEW DELHI

R. DALMIA versus COMMISSIONER OF INCOME-TAX, NEW DELHI

A person who controls a company by being the beneficial owner of shares carrying not less than 20% of the voting power is 'concerned in the management' under s. 2(6C)(iii) of the Income-tax Act, 1922, even if not a director or office-holder, and is taxable for any benefit or perquisite obtained from the company.

Source-derived case information.

Parties
Appellant/assessee: R. Dalmia; Respondent: Commissioner of Income-Tax, New Delhi
Jurisdiction
India
Procedural Posture
Civil Appeal / Supreme Court Appeal by Special Leave From the Delhi High Court (income Tax Reference No. 31 of 1967, Decided 12 7 1971)
Outcome
Appeal dismissed.
Legal Topics
Definition of Income Under the Indian Income Tax Act, 1922 S. 2(6 C)(iii), Scope of 'person Concerned in Management'
Tax Law Definition of Income Under the Indian Income Tax Act, 1922 S. 2(6 C)(iii) Scope of 'person Concerned in Management'

Source-derived case record

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Parties

R. Dalmia

Appellant/assessee

Commissioner of Income-Tax, New Delhi

Respondent

Procedural Posture

Civil Appeal / Supreme Court Appeal by Special Leave From the Delhi High Court (income Tax Reference No. 31 of 1967, Decided 12 7 1971)

  1. 1 Whether a person who is the beneficial owner of shares carrying more than 20% voting power but not a director can be regarded as 'concerned in the management' of a company under s. 2(6C)(iii) of the Income-tax Act, 1922 for the purpose of taxation of benefits received.

Ratio Decidendi

A person who controls a company by being the beneficial owner of shares carrying not less than 20% of the voting power is 'concerned in the management' under s. 2(6C)(iii) of the Income-tax Act, 1922, even if not a director or office-holder, and is taxable for any benefit or perquisite obtained from the company.

Court Disposition

Appeal dismissed.

Orders

  • The appeal is dismissed with costs.