MOHAMED NOORULLAH, REPRESENTING THE ESTATE OF LATE KHAN SAHIB MOHD. OOMER SAHIB versus THE COMMISSIONER OF INCOME-TAX, MADRAS.

MOHAMED NOORULLAH, REPRESENTING THE ESTATE OF LATE KHAN SAHIB MOHD. OOMER SAHIB versus THE COMMISSIONER OF INCOME-TAX, MADRAS.

Where after the death of the original business owner, the co-heirs, by mutual consent and unity of control, continue to jointly manage an indivisible business as a single unit (even if through appointed receivers), the profits derived therefrom are liable to assessment as the income of an association of persons...

Source-derived case information.

Parties
Appellant: Mohamed Noorullah, representing the estate of late Khan Sahib Mohd. Oomer Sahib; Respondent: The Commissioner of Income-Tax, Madras
Jurisdiction
India
Procedural Posture
Civil Appellate / Appeal by Special Leave From a High Court Judgment on an Income Tax Reference
Outcome
Appeals dismissed with costs.
Legal Topics
Assessment as Association of Persons, Inheritance and Succession, Receivership, Partition Proceedings
Taxation Assessment as Association of Persons Inheritance and Succession Receivership Partition Proceedings

Source-derived case record

Summary, issues, holding and outcome

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Parties

Mohamed Noorullah, representing the estate of late Khan Sahib Mohd. Oomer Sahib

Appellant

The Commissioner of Income-Tax, Madras

Respondent

Procedural Posture

Civil Appellate / Appeal by Special Leave From a High Court Judgment on an Income Tax Reference

  1. 1 Whether income-tax assessment of the business inherited from a deceased Mohamedan and carried on by receivers during partition proceedings is valid as income of an association of persons under Section 3 of the Indian Income-tax Act, 1922, for the assessment years 1944-45 to 1947-48.

Ratio Decidendi

Where after the death of the original business owner, the co-heirs, by mutual consent and unity of control, continue to jointly manage an indivisible business as a single unit (even if through appointed receivers), the profits derived therefrom are liable to assessment as the income of an association of persons under Section 3 of the Indian Income-tax Act, 1922. The fact that partition and administration suits are pending does not affect this assessment when the business is run as one whole by agreement of all parties.

Court Disposition

Appeals dismissed with costs.

Orders

  • Appeals are dismissed with costs. One hearing fee.