Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
>
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
TMI Blog
Home / TMI Blogs / RSS

1994 (3) TMI 22

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....rising out of its order, dated October 10, 1980, for the assessment year 1977-78 under section 256(1) of the Income-tax Act, 1961 : " Whether, on the facts and in the circumstances of the case, the Tribunal was right in law in holding that the Income-tax Officer was not justified in refusing registration to the firm ? " The brief facts of the case are that the assessee is a partnership-firm ....

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....ers and Shri Mohanlal Kalidas was having 37 per cent. of the share. He retired from the business on November 6, 1972, and, therefore, the share to his profit was proportionately increased in the remaining partners. The Income-tax Officer rejected the contention of the assessee and the registration was refused. In the appeal preferred before the Appellate Assistant Commissioner, it was found tha....

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....partners in the profits and losses was divided, the order of the Appellate Assistant Commissioner was upheld. We have considered the matter. The genuineness of the firm is not in dispute nor has it been pointed out that there is any other objection. After the retirement of Mohanlal Kalidas who was having 37 per cent. of the share, the remaining partners who were having 63 per cent. share, were ....