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1968 Supreme(Cal) 232

SANKAR PRASAD MITRA, CHATTERJEE
NIRMALA BALA SARKAR – Appellant
Versus
COMMISSIONER OF INCOME-TAX – Respondent


Advocates Appeared:
B.L.PAL, D.PAL, J.B.PAL, N.L.PAL, R.Murarka

CHATTERJEE, J.

( 1 ) THIS is a reference under Section 66 (1) of the Indian Income-tax Act. The reference is at the instance of the assessee. The assessment relates to the assessment years 1950-51, 1951-52, 1952-53, 1954-55 and 1955-56 respectively. The assessee is an association of persons being the trustees of a trust known as " general trust ". A deed of trust was executed by Hirendra Lal Sarkar wherein the assessee was appointed the trustees. The settlor created certain other trusts on July 17, 1941, in favour if his four daughters. The trust deed in question is at page 20 of the paper-book.

( 2 ) IT is not necessary to reiterate all the terms of the said deed. It is sufficient if we refer to the following facts : the settlor transferred about eight bighas of land to the trustees by the said deed of trust dated December 9, 1944. The trustees were directed to sell the aforesaid land, either in one plot or in different plots. The trust fund was directed to constitute of all the rents and profits of the said land and sale price thereof. By term No. 3 the trustees were directed to spend a sum not exceeding Rs. 10,000 only for the marriage expense of Kumari Dipali. The trustees we












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