RAMESHWAR LAL SANWARMAL versus COMMISSIONER OF INCOME-TAX, ASSAM

RAMESHWAR LAL SANWARMAL versus COMMISSIONER OF INCOME-TAX, ASSAM

Loans advanced to business concerns of a beneficial owner who is not the registered shareholder of shares in a company do not fall within the definition of 'deemed dividend' under section 2(6A)(e) and are not taxable as such; 'shareholder' refers only to the registered shareholder, not the beneficial owner.

Source-derived case information.

Parties
Appellant: Rameshwarlal Sanwarmal (Hindu Undivided Family); Respondent: Commissioner of Income-Tax, Assam
Jurisdiction
India
Procedural Posture
Civil Appeal / Supreme Court Appeal by Special Leave From High Court Income Tax Reference Decision
Outcome
Appeal allowed as regards this aspect; loans not taxable as deemed dividend in hands of assessee.
Legal Topics
Deemed Dividend, Beneficial Ownership, Registered Shareholder, Interpretation of Section 2(6 A)(e)
Income Tax Deemed Dividend Beneficial Ownership Registered Shareholder Interpretation of Section 2(6 A)(e)

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Parties

Rameshwarlal Sanwarmal (Hindu Undivided Family)

Appellant

Commissioner of Income-Tax, Assam

Respondent

Procedural Posture

Civil Appeal / Supreme Court Appeal by Special Leave From High Court Income Tax Reference Decision

  1. 1 Whether loans advanced by a company to business concerns of a Hindu Undivided Family, which is the beneficial owner of shares registered in the name of its Karta, are ‘deemed dividends’ taxable under section 2(6A)(e) of the Indian Income Tax Act, 1922.

Ratio Decidendi

Loans advanced to business concerns of a beneficial owner who is not the registered shareholder of shares in a company do not fall within the definition of 'deemed dividend' under section 2(6A)(e) and are not taxable as such; 'shareholder' refers only to the registered shareholder, not the beneficial owner.

Court Disposition

Appeal allowed as regards this aspect; loans not taxable as deemed dividend in hands of assessee.

Orders

  • First question answered in favour of assessee on this aspect.
  • No order as to costs of appeal.