IN THE HIGH COURT OF JUDICATURE AT BOMBAY O. O. C. J. INCOME TAX APPEAL NO.2714 OF The Commissioner of Income Tax 20 Vs.

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1 1 IN THE HIGH COURT OF JUDICATURE AT BOMBAY O. O. C. J. INCOME TAX APPEAL NO.2714 OF 2009 The Commissioner of Income Tax 20..Appellant. Vs. M/s.B.N. Exports..Respondent.... Ms Suchitra Kamble for the Appellant. Mr. A.K. Sharma with Mr. P.C. Tripathi for the Respondent.... CORAM : DR. D.Y.CHANDRACHUD & J.P. DEVADHAR, JJ. 31 st March, ORAL JUDGMENT (Per DR. D.Y. CHANDRACHUD, J.): 1. The appeal by the Revenue under Section 260 A of the Income Tax Act, 1961 raises the following question of law : a) Whether on the facts and circumstances of the case and in law, the ITAT was justified in confirming the order of the CIT(A) by deleting the addition of Rs. 31,68,775/ being Insurance premium paid by the assessee firm on a Keyman Insurance Policy? 2. The issue before the Court pertains to Assessment Year By its order dated 29 th January, 2009, the Income Tax

2 2 Appellate Tribunal confirmed the findings of the CIT(A). The Tribunal held that the expenditure incurred by the assessee, which is a partnership firm, in paying the premium for a Keyman Insurance Policy obtained by the firm on the life of its partner must be regarded as expenditure incurred wholly and exclusively for the business of the firm. In holding thus, the Tribunal relied upon a circular issued by the Central Board of Direct Taxes on 18 th February, 1998 (Circular 762) and on its decision in the case of ITA v. Thakur Vaidyanath Aiyer & Co. 1 Accordingly the Tribunal deleted an addition of Rs. 31,68,775/ towards the insurance premium paid by the firm on a Keyman Insurance Policy. 3. The contention of the Revenue before the Court is that in law a partnership firm has no separate existence from its partners since a partnership firm is not a juristic entity. Moreover, it has been urged before the Court that there is no relationship of employer and employee between a firm and its partners, there being no contract of service. 1 7 ITD 9 (Bom.)

3 3 4. In order to appreciate the submission which has been made a reference to some of the relevant provisions of the Income Tax Act, 1961 would be in order. Section 2(31) defines the expression person to include an individual, a Hindu Undivided Family, a company, a firm, an association of persons or a body of individuals whether incorporated or not, a local authority and every artificial juridical person, not falling within the previous sub clauses. Consequently, for the purposes of taxation, a firm is regarded as a distinct assessable entity. Section 10 provides that in computing the total income of any person for the previous year, income falling within any of the clauses of the provision shall not be included. Clause 10 D specifies to any sum received under a life insurance policy, including a sum allocated by way of bonus on such a policy other than, inter alia, any sum received under a Keyman Insurance Policy. The Explanation to Clause 10 D defines what is meant by a Keyman Insurance Policy thus : Keyman Insurance Policy means a life insurance policy taken by a person on the life of another person who is or

4 4 was the employee of the first mentioned person or is or was connected in any manner whatsoever with the business of the first mentioned person. 5. The effect of Clause 10 D is that a sum received under a life insurance policy is not to be included in computing the total income of any person. However, a sum received under a Keyman Insurance Policy forms a part of the total income and is liable to be offered to tax. For the purposes of Clause 10D, a Keyman Insurance Policy is a life insurance policy taken by a person on the life of another person who is or was the employee of the person who subscribes to the policy of insurance or is or was connected in any manner whatsoever with the business of the subscriber to the policy. In other words, a Keyman Insurance Policy for Clause 10D is not confined to a policy taken by a person on the life of an employee, but also extends to an insurance policy taken with respect to the life of another who is connected in any manner whatsoever with the business of the subscriber. 6. The Central Board of Direct Taxes has issued a circular on 18 th February, 1998 (Circular 762) which clarifies the scope and

5 purpose of the provision. Paragraph 14.1 of the circular states thus : A Keyman Insurance Policy of the Life Insurance Corporation of India, etc., provides for an insurance policy taken by a business organisation or a professional organisation on the life of an employee, in order to protect the business against the financial loss, which may occur from the employee s premature death. The Keyman is an employee or a director, whose services are perceived to have a significant effect on the profitability of the business. The premium is paid by the employer. 7. The Circular notes that there were certain doubts on the taxability of the income, including bonus, received from such policies and as regards whether the premium paid should be allowed as capital or as revenue expenditure. The circular clarifies that the Act lays down the tax treatment for a Keyman Insurance Policy. The circular clarifies that the premium paid on a Keyman Insurance Policy is allowable as business expenditure. 8. The contention of counsel appearing on behalf of the Revenue is that there is no contract of service between a partnership firm and a partner and a partner cannot be regarded as being an

6 6 employee of the partnership firm. In order to support the submission reliance was sought to be placed on a judgment of the Supreme Court in Commissioner of Income Tax v. Chidambaram Pillai 2. In the case before the Supreme Court, the Respondents who were partners of a partnership firm were entitled in addition to their share in the profits, to salaries for service rendered to the firm. The firm owned certain tea estates. The issue before the Supreme Court was whether the sums drawn by the partners as salaries were wholly liable to income tax or only to the extent of 40% which fell within the scope of non agricultural income. The Supreme Court held that a partnership is only a collective of separate persons and is not a legal person in itself and as a result the salary paid to a partner from the firm is in reality a mode of division of profits of the firm since no person can be his own servant in law. On this principle, the Supreme Court dismissed the appeal filed by the Revenue and held that only 40% of the salary paid to a partner by a firm which grows and sells tea would be liable to tax whereas 60% could be exempt from tax under Rule 24 of the Income Tax Rules, The decision in Chidambaram 2 (1977) 106 ITR 292.

7 7 Pillai s case was rendered by a Bench of two Learned Judges. There is a subsequent decision of a larger Bench of these learned Judges of the Supreme Court in Bist and Sons v. Commissioner of Income Tax 3. In Bist & Sons (supra) the Supreme Court held that whereas according to the general principles of law a firm is merely a compendious expression for the partners who comprise it, yet for the purposes of taxation a partnership firm is a distinct assessable entity. The Supreme Court held thus : We are concerned with provisions for the computation of income of an assessee for the purpose of determining its income tax liability. It may be, as is quite often said, that a firm is merely a compendious description of the individuals who carry on the partnership business. But under the I.T. Act, a firm is a distinct assessable entity. S. 3 of the Indian I.T. Act, 1922, treats it as such, and the entire process of computation of the income of a firm proceeds on the basis that it is a distinct assessable entity. In that respect it is distinct even from its partners : CIT v. A.W. Figgies and Company (1953) 24 ITR 405 (SC). 9. The effect of Section 10 (10 D) is that monies which are received under a life insurance policy are not included in the computation of the total income of a person for a previous year. 3 (1979) 116 ITR 131.

8 8 However, any sum received under a Keyman Insurance Policy is to be reckoned while computing total income. For that purpose, a Keyman Insurance Policy means a life insurance policy taken by a person on the life of another person who is or was in employment as well as on a person on who is or was connected in any manner whatsoever with the business of the subscriber. The words is or was connected in any manner whatsoever with the business of the subscriber are wider that what would be subsumed under a contract of employment. The latter part makes it clear that a Keyman Insurance Policy for the purposes of Clause 10 D is not confined to a situation where there is a contract of employment. Clause 10 D relates to the treatment for the purpose of taxation of moneys received under an insurance policy. In this appeal, the Court has to determine the question of expenditure incurred towards the payment of insurance premium on a Keyman Insurance Policy. The circular which has been issued by the Central Board of Direct Taxes clarifies the position by stipulating that the premium paid for a Keyman Insurance Policy is allowable as business expenditure. In the present case, on the question whether the

9 9 premium which was paid by the firm could have been allowed as business expenditure, there is a finding of fact by the Tribunal that the firm had not taken insurance for the personal benefit of the partner, but for the benefit of the firm, in order to protect itself against the set back that may be caused on account of the death of a partner. The object and purpose of a Keyman Insurance Policy is to protect the business against a financial set back which may occur, as a result of a premature death, to the business or professional organization. There is no rational basis to confine the allowability of the expenditure incurred on the premium paid towards such a policy only to a situation where the policy is in respect of the life of an employee. A Keyman Insurance Policy is obtained on the life of a partner to safeguard the firm against a disruption of the business that may result due to the premature death of a partner. Therefore, the expenditure which is laid out for the payment of premium on such a policy is incurred wholly and exclusively for the purposes of business. 10. Hence, for the reasons recorded earlier, the appeal by the

10 10 Revenue does not raise any substantial question of law. The Appeal is dismissed. There shall be no order as to costs. (Dr. D.Y.Chandrachud, J.) (J.P. Devadhar, J.)

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