THE COMMISSIONER OF INCOME-TAX, WEST BENGAL versus KALU BABU LAL CHAND

THE COMMISSIONER OF INCOME-TAX, WEST BENGAL versus KALU BABU LAL CHAND

Where a Hindu undivided family, through its karta, promotes, finances, and manages a company solely using joint family assets, the remuneration received by the karta as managing director is assessable as the income of the family, not as his personal income.

Source-derived case information.

Parties
Appellant: The Commissioner of Income-Tax, West Bengal; Respondent: Kalu Babu Lal Chand (Hindu Undivided Family)
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal by Special Leave From the Judgment and Order Dated September 8, 1955, of the Calcutta High Court in Income Tax Reference No. 77 of 1951.
Outcome
Appeal allowed
Legal Topics
Hindu Undivided Family, Managing Director Remuneration, Clubbing of Income, Taxation of Companies, Assessment Under Income Tax Act
Income Tax Law Hindu Undivided Family Managing Director Remuneration Clubbing of Income Taxation of Companies Assessment Under Income Tax Act

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Legal principles 4 Authorities cited 10 Party arguments 2 Amounts and remedies 1
Sign in to unlock

Parties

The Commissioner of Income-Tax, West Bengal

Appellant

Kalu Babu Lal Chand (Hindu Undivided Family)

Respondent

Procedural Posture

Civil Appeal / Appeal by Special Leave From the Judgment and Order Dated September 8, 1955, of the Calcutta High Court in Income Tax Reference No. 77 of 1951.

  1. 1 Whether remuneration received by the karta of a Hindu undivided family as managing director of a company, promoted and financed using joint family funds, is assessable as the income of the family or as his personal income.

Ratio Decidendi

Where a Hindu undivided family, through its karta, promotes, finances, and manages a company solely using joint family assets, the remuneration received by the karta as managing director is assessable as the income of the family, not as his personal income.

Court Disposition

Appeal allowed

Orders

  • The judgment and order of the High Court are set aside.
  • The referred question is answered in the negative, i.e., the remuneration is assessable in the hands of the Hindu undivided family.