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        <h1>Court affirms tax deductions for decretal amount & additional income, impacting net wealth.</h1> The Court upheld the Tribunal's decisions on both questions, affirming the admissibility of the decretal amount and the tax payable on additional income ... Net Wealth Issues: Determination of admissible deductions in computing net wealth for the assessment year 1957-58.Analysis:Question No. 6: The issue pertains to whether the decretal amount of Rs. 39,162, representing a decree passed against the assessee and others, is an admissible deduction in computing the net wealth of the assessee. The Wealth-tax Officer allowed only one-third of the claim, considering the joint and several liability of the judgment-debtors. However, the Tribunal accepted the contention of the assessees, emphasizing that each judgment-debtor, including the assessee, was liable to pay the full amount of the decree. The Tribunal reasoned that the assessees were entitled to deduction of the entire amount as it constituted a debt due by them on the valuation date. The Court upheld the Tribunal's decision, emphasizing that the quantum of the debt an assessee may be called upon to pay in law determines the admissibility of the deduction, regardless of any right of contribution from other debtors. Thus, the Tribunal was justified in allowing the deduction of the entire decretal debt.Question No. 7: This question concerns the entitlement of the assessee to a deduction of Rs. 1,42,320, being the tax on additional income voluntarily disclosed to the department before the valuation date. The Tribunal allowed the deduction based on the legal principle that the liability for tax payable constitutes a debt and should be deducted in computing the net wealth of the assessee under the Wealth-tax Act. The Court concurred with the Tribunal's decision, citing established legal precedent. Therefore, the deduction of the tax amount on the voluntarily disclosed income was deemed permissible.In conclusion, the judgment resolved the issues raised by the revenue regarding the admissibility of deductions in computing the net wealth of the assessee for the relevant assessment year. The Court upheld the Tribunal's decisions on both questions, affirming the admissibility of the decretal amount and the tax payable on additional income as deductions.

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