For Approval And Signature v. Darbar Saheb Virawala Surag- Wala Palace
High Court
20 Nov 2002 In favour of: Unclear
Forum / Bench
High Court · gujarathc
Parties
For Approval And Signature v. Darbar Saheb Virawala Surag- Wala Palace
Date of order
20 Nov 2002
Assessment year(s)
—
Outcome
Allowed
The order — as passed by the High Court
Case summary
In For Approval And Signature v. Darbar Saheb Virawala Surag- Wala Palace, the High Court (2002) allowed the appeal.
Issue: Whether, on the facts and in the circumstances of the case, the Tribunal was right in law in coming to the conclusion that the assessee was entitled to exemption u/s 5(1)(iii) of the W.T.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
IN THE HIGH COURT OF GUJARAT AT AHMEDABAD
WEALTH TAX REFERENCE No 32 of 1991
For Approval and Signature:
Hon'ble MR.JUSTICE A.R.DAVE
and
Hon'ble MR.JUSTICE K.M.MEHTA
============================================================
1. Whether Reporters of Local Papers may be allowed : NO to see the judgements? 2. To be referred to the Reporter or not? : NO 3. Whether Their Lordships wish to see the fair copy : NO of the judgement? 4. Whether this case involves a substantial question : NO of law as to the interpretation of the Constitution of India, 1950 of any Order made thereunder? 5. Whether it is to be circulated to the concerned : NO Magistrate/Magistrates,Judge/Judges,Tribunal/Tribunals? -------------------------------------------------------------- COMMISSIONER OF INCOME TAX
Versus
DARBAR SAHEB VIRAWALA SURAG- WALA PALACE
-------------------------------------------------------------- Appearance: 1. WEALTH TAX REFERENCE No. 32 of 1991
MR MANISH R BHATT for Petitioner No. 1 NOTICE SERVED for Respondent No. 1
--------------------------------------------------------------
CORAM : MR.JUSTICE A.R.DAVE
and
MR.JUSTICE K.M.MEHTA
Date of decision: 20/11/2002
(Per : MR.JUSTICE A.R.DAVE)
�At the instance of the revenue, the following two
questions have been referred to this court for its
opinion under the provisions of sec. 27(1) of the
Wealth-tax Act, 1957 (hereinafter referred to as 'the
Act') :
1. Whether, on the facts and in the circumstances of
the case, the Tribunal was right in law in coming
to the conclusion that the assessee was entitled
to exemption u/s 5(1)(iii) of the W.T. Act, 1957
in respect of new building constructed by him in
place of the old recognised palace?
2. Whether, on the facts and circumstances of the
case, the Tribunal was right in law in coming to
the conclusion that the exemption was available
to a building used as an official residence
irrespective of the fact whether it was old or
newly constructed?"
2.�Shri M.R. Bhatt, learned Sr. Central Government
Standing Counsel, has appeared for the applicant revenue,
whereas nobody has appeared for the respondent assessee,
though notice of this court has been duly served upon the
respondent assessee.
3.�The learned counsel has very fairly submitted
that the questions, which have been referred to this
court, have already been answers in the case of the
assessee himself in W.T.R. No. 44/95 decided on
18.7.2002. It has been submitted by the learned counsel
that the question of law, which was referred to this
court in W.T.R. No. 44/95 and the questions referred to
in this reference are practically the same. Looking to
the law laid down by this court in W.T.R. No. 44/95, we
answer the questions referred to this court in the
affirmative, i.e., in favour of the assessee and against
the revenue.
�The reference stands disposed of accordingly with no order as to costs.
�����(A.R. Dave, J.)
�����(K.M. Mehta, J.)
(hn)
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