Commissioner Of Income Tax vs P. Doraiswamy Chetty
In a landmark ruling on the interpretation of section 64(1)(i) of the Income Tax Act 1961, the Supreme Court resolved a conflict between High Courts by holding that the term ‘income’ in this anti-avoidance provision encompasses ‘loss’. The case involved an assessee seeking to carry forward his wife’s share of loss from a partnership firm where both were partners. The Court, affirming the Tribunal’s decision, relied on a 1944 CBDT circular, a 1979 legislative amendment (Explanation 2 to section 64), and the binding precedent in CIT vs. J.H. Gotla. This decision ensures equitable treatment by allowing the set-off and carry-forward of a spouse’s partnership loss against the assessee’s income, preventing tax arbitrage where liability would otherwise alternate based on annual profit/loss outcomes. The ruling underscores a purposive interpretation to uphold the legislative intent behind aggregation provisions.
Commissioner Of Income Tax vs P. Doraiswamy Chetty View Full Article »

