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        <h1>Scheme of Amalgamation Dismissed for Tax Avoidance</h1> <h3>In Re: Wood Polymer Limited And Ors.</h3> The court dismissed the petitions for sanctioning the scheme of amalgamation, finding it primarily designed to avoid capital gains tax, which was against ... - Issues Involved:1. Compliance with statutory provisions.2. Fair representation of classes.3. Reasonableness of the arrangement.4. Legislative intent and relevance of the second proviso to section 394.5. Scope of 'public interest' in the second proviso.6. Relevance of disclosed purpose and real purpose behind the amalgamation.7. Tax avoidance as a major purpose and its impact on public interest.8. Court's role in facilitating tax avoidance.Issue-wise Detailed Analysis:1. Compliance with Statutory Provisions:The court examined whether the statutory provisions under sections 391(2) and 394 of the Companies Act were complied with. It was noted that separate meetings of creditors and members were convened and approved the scheme of amalgamation. The official liquidator was directed to submit a report on the transferor-company's affairs, which was duly done.2. Fair Representation of Classes:The court observed that the members and creditors of both companies had approved the scheme. There was no evidence of coercion or unfair advantage taken by the majority over the minority. The classes appeared to have been adequately represented.3. Reasonableness of the Arrangement:The court questioned whether the arrangement was one that a reasonable businessperson would approve. The exchange ratio of shares was scrutinized, and although it seemed prima facie unfair, no objections were raised by the shareholders. The court noted that the conversion ratio was not satisfactorily worked out but refrained from rejecting the scheme solely on this ground.4. Legislative Intent and Relevance of the Second Proviso to Section 394:The court emphasized that the second proviso to section 394 was introduced to ensure that the affairs of the transferor-company were not conducted in a manner prejudicial to its members or public interest. This provision was a safeguard against the misuse of corporate structures for purposes contrary to public interest.5. Scope of 'Public Interest' in the Second Proviso:The court interpreted 'public interest' broadly, including the socio-economic impact and the purpose behind the creation and dissolution of the transferor-company. The court concluded that public interest involves more than just the internal management of the company and extends to the broader socio-economic context.6. Relevance of Disclosed Purpose and Real Purpose Behind the Amalgamation:The court scrutinized the real purpose behind the scheme of amalgamation. It was revealed that the transferor-company was created merely to facilitate the transfer of a property (Avenue House) to avoid capital gains tax. This was seen as a subterfuge to defeat tax liability, which was against public interest.7. Tax Avoidance as a Major Purpose and Its Impact on Public Interest:The court held that if the sole purpose of the amalgamation was to avoid tax liability, it could not be said to be in public interest. The court emphasized that it should not facilitate tax avoidance through its process.8. Court's Role in Facilitating Tax Avoidance:The court stated that while tax avoidance is not illegal, the judicial process should not be used to achieve it. The court has a duty to scrutinize the scheme and ensure it does not serve as a device to defeat tax liabilities.Conclusion:The petitions for sanctioning the scheme of amalgamation were dismissed. The court found that the scheme was primarily designed to avoid capital gains tax, which was against public interest. The court emphasized its role in scrutinizing such schemes to prevent misuse of the judicial process for tax avoidance.

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        ActsIncome Tax
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