SHREE KRISHNA AGENCY LTD. versus COMMISSIONER OF INCOME TAX CENTRAL, CALCUTTA

SHREE KRISHNA AGENCY LTD. versus COMMISSIONER OF INCOME TAX CENTRAL, CALCUTTA

The mere existence of an article in the Articles of Association conferring discretion upon the Directors to refuse to register transfers of shares without assigning reasons does not, by itself, affect the free transferability of shares within the meaning of Explanation (1) to section 23A(9) of the Income-tax Act,...

Source-derived case information.

Parties
Appellant: Shree Krishna Agency Ltd.; Respondent: Commissioner of Income Tax Central, Calcutta
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal by Certificate From Calcutta High Court Judgment in Income Tax Reference
Outcome
Appeal allowed
Legal Topics
Interpretation of Section 23 a, Income Tax Act, 1922, Transferability of Shares, Articles of Association and Company Law
Tax Law Company Law Interpretation of Section 23 A, Income Tax Act, 1922 Transferability of Shares Articles of Association and Company Law

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Parties

Shree Krishna Agency Ltd.

Appellant

Commissioner of Income Tax Central, Calcutta

Respondent

Procedural Posture

Civil Appeal / Appeal by Certificate From Calcutta High Court Judgment in Income Tax Reference

  1. 1 Whether, on a true interpretation of Article 37 of the Articles of Association, the assessee company can be regarded as one in which the public are substantially interested within the meaning of the third proviso to section 23A(1) of the Income-tax Act, 1922.

Ratio Decidendi

The mere existence of an article in the Articles of Association conferring discretion upon the Directors to refuse to register transfers of shares without assigning reasons does not, by itself, affect the free transferability of shares within the meaning of Explanation (1) to section 23A(9) of the Income-tax Act, 1922, unless there is evidence of misuse of such discretion.

Court Disposition

Appeal allowed

Orders

  • Decision of the Calcutta High Court is set aside.
  • The question referred in each case is answered in favour of the assessee and against the Revenue.