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        <h1>Court decision on chit fund interest income taxation: Legal win for assessee, tax liability upheld</h1> <h3>New Suraj Financiers And Chit Fund Co. Pvt. Limited Versus Commissioner Of Income-Tax</h3> New Suraj Financiers And Chit Fund Co. Pvt. Limited Versus Commissioner Of Income-Tax - [1990] 181 ITR 44 Issues:1. Assessment of interest income received under chit fund schemes.2. Taxability of interest income as per chit fund schemes.Analysis:1. The first issue pertains to the assessment of interest income received under chit fund schemes. The court referred to an earlier decision in a similar case and ruled in favor of the assessee, stating that the interest income could not be legally assessed as income of the assessee. The specific question raised was whether interest income could be assessed when income from property had been separately assessed, and no cash loan had been advanced, only transfer entries had been made. The court answered this question in the negative, favoring the assessee based on the precedent.2. The second issue revolves around the taxability of interest income under the chit fund schemes. The court delved into the factual background of the case where the assessee was running two chit funds with specific subscription amounts and interest payments. The court analyzed whether the amounts paid by subscribers to become part of the chit fund schemes should be treated as income accruing to the assessee in the assessment year or spread over the scheme's duration. The court upheld the Tribunal's view that the interest amount was chargeable to tax as income of the assessee-company during the assessment year. The court emphasized that the subscriber was legally bound to pay the interest amount at the beginning, and the assessee had the legal right to receive it at that time, fixing the time of accrual. Consequently, the court ruled in favor of the Revenue, stating that the interest income was to be taxed during the assessment year, rejecting the assessee's argument for spreading the income over the scheme's duration.In conclusion, the court disposed of the reference, deciding in favor of the assessee for the first issue and in favor of the Revenue for the second issue. The judgment provided detailed reasoning based on legal principles and factual analysis to determine the taxability of interest income under specific circumstances related to chit fund schemes.

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