COMMISSIONER OF INCOME TAX WEST BENGAL I, CALCUTTA versus CLIVE INSURANCE CO. LTD., CALCUTTA

COMMISSIONER OF INCOME TAX WEST BENGAL I, CALCUTTA versus CLIVE INSURANCE CO. LTD., CALCUTTA

Dividend income received by the Indian resident assessee from U.K.-based companies, which has suffered British income-tax by deduction at source in accordance with U.K. law, satisfies the requirements of section 49D of the Income-tax Act, 1922, and entitles the assessee to double taxation relief, as the tax has been...

Source-derived case information.

Parties
Appellant: Commissioner of Income Tax, West Bengal I, Calcutta; Respondent: Clive Insurance Co. Ltd., Calcutta
Jurisdiction
India
Procedural Posture
Civil Appeal / Final Judgment—appeal Dismissed
Outcome
appeal dismissed
Legal Topics
Double Taxation Relief, International Taxation, Foreign Income, Deduction for Foreign Tax Paid, Interpretation of Section 49 D Income Tax Act, 1922
Taxation Double Taxation Relief International Taxation Foreign Income Deduction for Foreign Tax Paid Interpretation of Section 49 D Income Tax Act, 1922

Source-derived case record

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Parties

Commissioner of Income Tax, West Bengal I, Calcutta

Appellant

Clive Insurance Co. Ltd., Calcutta

Respondent

Procedural Posture

Civil Appeal / Final Judgment—appeal Dismissed

  1. 1 Whether the assessee could be said to have paid income-tax in the U.K. by deduction or otherwise in respect of the net dividends so as to be eligible for the relief contemplated by section 49D of the Indian Income Tax Act, 1922

Ratio Decidendi

Dividend income received by the Indian resident assessee from U.K.-based companies, which has suffered British income-tax by deduction at source in accordance with U.K. law, satisfies the requirements of section 49D of the Income-tax Act, 1922, and entitles the assessee to double taxation relief, as the tax has been paid in the foreign country and such income qualifies for deduction under section 49D.

Court Disposition

appeal dismissed

Orders

  • Appeal dismissed with costs.