LAWS(KER)-1964-7-4

KUTTY SAHIB Vs. COMMISSIONER OF GIFT TAX

Decided On July 24, 1964
KUTTY SAHIB Appellant
V/S
COMMISSIONER OF GIFT-TAX, KERALA. Respondents

JUDGEMENT

(1.) This is a reference under S.26(1) of the Gift tax Act, 1958. The assessment year is 1958-59; and the question referred:

(2.) The gift was made by the assessee on 8-1-1958. The document itself is not before us; but there is no doubt that the Tribunal has proceeded on the assumption that the property covered by the gift deed was charged with two liabilities: one in respect of a kuri transaction of the assessee with the Catholic Syrian Bank Limited, Trichur, and another in respect of an overdraft account of the assessee with the said Bank.

(3.) The Statement of the Case puts the total of the two liabilities at Rs. 28,163/-. Annexure B to the Statement of the Case is a certificate from the Catholic Syrian Bank Limited to the effect that the liability in respect of the kuri transaction was Rs. 22,000/- on the date of the gift. It must follow that the liability in respect of the overdraft account on that date was Rs. 6,163/-.