J. K. TRUST, BOMBAY versus THE COMMISSIONER OF INCOME-TAX/EXCESS PROFITS TAX, BOMBAY

J. K. TRUST, BOMBAY versus THE COMMISSIONER OF INCOME-TAX/EXCESS PROFITS TAX, BOMBAY

A managing agency business can constitute property held on trust for purposes of s. 4(3)(i) of the Indian Income-tax Act, 1922; however, due to the existence of s. 4(3)(ia) (a special provision concerning exemption for business income), the appeal cannot be finally disposed of without determination whether profits...

Source-derived case information.

Parties
Appellant: J. K. Trust, Bombay; Respondent: The Commissioner of Income-Tax/Excess Profits Tax, Bombay
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal by Special Leave From a Judgment and Order of the Bombay High Court Under Income Tax Reference
Outcome
Appeal allowed. Case remanded to High Court for decision on second question.
Legal Topics
Income Tax Exemption for Trusts, Business Property as Trust Property, Application of Indian Income Tax Act, 1922, S. 4(3)(i) and (ia)
Taxation Law Trusts and Charities Income Tax Exemption for Trusts Business Property as Trust Property Application of Indian Income Tax Act, 1922, S. 4(3)(i) and (ia)

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Parties

J. K. Trust, Bombay

Appellant

The Commissioner of Income-Tax/Excess Profits Tax, Bombay

Respondent

Procedural Posture

Civil Appeal / Appeal by Special Leave From a Judgment and Order of the Bombay High Court Under Income Tax Reference

  1. 1 Whether a managing agency business can constitute property held under trust within s. 4(3)(i) of the Indian Income-tax Act, 1922
  2. 2 Whether income from such managing agency business is exempt from taxation under s. 4(3)(i) or subject to special provision under s. 4(3)(ia)
  3. 3 Whether actual employment of trust fund in business is required to impress business with the character of trust property

Ratio Decidendi

A managing agency business can constitute property held on trust for purposes of s. 4(3)(i) of the Indian Income-tax Act, 1922; however, due to the existence of s. 4(3)(ia) (a special provision concerning exemption for business income), the appeal cannot be finally disposed of without determination whether profits from business are exempt when s. 4(3)(ia) conditions are not satisfied.

Court Disposition

Appeal allowed. Case remanded to High Court for decision on second question.

Orders

  • Costs of appeal and previous hearing to be paid by respondent to appellant.
  • Costs of further hearing to be dealt with by High Court on remand.