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1969 Supreme(SC) 244

SUPREME COURT OF INDIA
J.C. SHAH, ACTG. C.J.I., V. RAMASWAMI AND A.N. GROVER, JJ.
The Benaras State Bank Ltd., Appellant v. The Commissioner of Income-tax, U.P., Respondent.
Civil Appeal No. 1033 of 1966, D/- 25-7-1969.
Advocates appeared
Mr. S. T. Desai, Senior Advocate (Mrs. A. K. Verma, Advocate and Mr. J. B. Dadachanji, Advocate of M/s. J. B. Dadachanji and Co. with him), for Appellant; Mr. Jagdish Swarup, Solicitor General of India, (M/s. S. K. Aiyer, R. N. Sachthey and B. D. Sharma, Advocates with him), for Respondent.

Advocates:
For the Petitioner: Mr. S. A. Makroo, ASGI.
For the Respondent: None.

Headnote:

Income-tax Act, 1922 - Sections 4 (1) (a) and 14 (2) (c) - Taxation - Assessment - Bank - Dividend income - Whether dividend warrants were delivered by the Glass Works to Bank - Even if Bank was a non-resident on July 25, 1949, by virtue of Section 4 (1) (b) (ii) it was liable to be taxed in respect of dividend income in the year of assessment 1950-51 - The year of account of bank is calendar year. The State of Benaras in which Bank had its registered office merged with Indian Union on December 1, 1949. The Glass Works declared a dividend at a General Meeting on July 25, 1949. Cheque for Rs. 69,000 issued by Glass Works in favour of Bank in payment of dividend were encashed by Bank - Held, When dividend is declared, liability arises on part of Company to make that payment to the shareholder and with regard to shareholder when income represented by that dividend accrues or arises to him, and that the fact that actual payment of income is deferred in immaterial and irrelevant - There is no evidence that before December 31, 1949 dividend was paid, credited or distributed to the Bank. By virtue of S. 4 (1) (a) of Act, 1922, income was held properly taxable in the assessment year 1950-51 - Appeal dismissed.

Judgment

SHAH, Ag. C. J. :- By order dated August 23, 1968, we called for a supplementary statement on the issue whether dividend warrants were delivered by the Glass Works to the Bank on August 3 1949. The Tribunal has submitted a statement of the case that the only relevant facts proved are that the dividend was declared on July 25, 1949 and the Bank encashed the dividend warrants on December 31, 1949. The appeal must therefore be decided on the footing that the dividend warrants were handed over to the Bank by the Glass Works on August 3, 1949, is not proved.

2. The material facts which have a bearing on the point in issue are these. The year of account of the bank is the calendar year. The State of Benaras in which the Bank had its registered office merged with the Indian Union on December 1, 1949. The Glass Works declared a dividend at a General Meeting on July 25, 1949. Cheque for Rs. 69,000 issued by the Glass Works in favour of the Bank in payment of the dividend were encashed by the Bank on December 31, 1949.

3. The dividend received by the Bank has been brought to tax in the assessment year 1950-51. Counsel for the Bank urged that the Bank cannot be assessed to tax in respect of dividend accruing to it at a time when the Bank was a nonresident. It is urged that by virtue of Section 14 (2) (c) of the Income-tax Act, 1922, as then in force, the income received by the Bank was not liable to be taxed. At the relevant time Section 14 (2) (c) read as follows:

"(2) The tax shall not be payable by an assessee -

* * * *

(c) in respect of any income, profits or gains accruing or arising to him within an Indian State, unless such income, profits or gains are received or deemed to be received in or are brought into the British India in the previous year by or on behalf of the assessee, or are assessable under Section 12B or Section 42." By the Adaptation of Laws Order, 1950, the words "an Indian State" were substituted by the words "a Part B State", and the words "British India" were substituted by the "taxable territories" Section 2 (14A) - (which was also incorporated by the Adaptation of Laws Order, 1950, with effect from April 1, 1950) insofar as it is material provides:

"taxable territories means -

(a) * * *

(b) as respects any period after the 14th day of August, 1947, and before the 26th day of January, 1950, the territories for the time being comprised in the Provinces of India, but excluding the merged territory of Cooch-Bihar.

* * *

Provided that the taxable territories shall be deemed to include - (a) the merged territories -

(i) as respects any period after the 31st day of March, 1949 for any of the purposes of this Act, and

* * * *"

4. The State of Benaras after merger on December 1, 1949 with the Dominion of India formed part of the State of Uttar Pradesh and was on that account part of the taxable territories by virtue of the definition contained in Section 2 (14A) of the Indian Income-tax Act. Assuming that the dividend accrued within an Indian State, it was received by the Bank in the taxable territories on December 31, 1949, and by the express words contained in Section 14 (2) (c) of the Indian Income-tax Act, 1922, before it was omitted by the Taxation Laws (Extension to Jammu and Kashmir) Act, 1954, it was not exempt from liability to payment of tax even if the right thereto had accrued to the Bank in an Indian State.

5. It was then urged that the dividend must be deemed to have been received by the Bank on July 25, 1949 - the day on which it was declared and on that date the Bank being a non-resident it could not be brought to tax. But under Section 16 (2) of the Indian Income-tax Act, 1922, the dividend income was taxable only in the year in which it was paid, credited or distributed or was deemed to be paid, credited or distributed. This Court observed in J. Dalmia v. Commissioner of Income-tax, Delhi, 53 ITR 83 that the expression "paid" in Section 16 (2) does not contemplate actual receipt of the dividend by the membe




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