assessee was a partner in M/s P.N.Writer & Co. A
fresh partnership deed was executed in 1997 wherein the name ... assessee was a partner in M/s
P.N.Writer & Co. A fresh partnership deed was executed in 1997 wherein the name
assessee was a partner in M/s
P.N.Writer & Co. A fresh partnership deed was executed in 1997 wherein ... assessee was a partner in
M/s P.N.Writer & Co. A fresh partnership deed was executed in 1997
wherein the name
constructed to a Trust called the Writer Jesia Family
Trust (Trust) by a Lease Deed dated 16-02-1984. The lease
was initially
relinquishment of her rights in the partnership of
M/s. P. N. Writer & Co. Here it may be gainful to recount the brief history ... assessee was a partner in M/s P.N.Writer & Co.
A fresh partnership deed was executed in 1997 wherein the name
partner in the firm M/s. P.N. Writer & Co.
who by executing fresh partnership deed in 1997 retired the Assessee
herein, however
relinquishment of her rights in the partnership
of M/s. P. N. Writer & Co. Here it may be gainful to recount the brief history ... assessee was a partner in M/s P.N.Writer & Co.
A fresh partnership deed was executed in 1997 wherein the name
advisor was to have powers mentioned in the trust deed. Clause 5 of the deed dealing with the aims and objects of the Trust runs ... educational institutions and for the purpose to do all acts, deeds and things necessary far the starting, conducting and/or promotion thereof.
(e) To give
that are usually found or
expected to be included in a lease deed. The right of the respondent to transfer his
interest under the document ... manifest, and the clever phraseology used or the ingenuity of the document- writer
hardly conceals the real intent."
In the case of Sardar Pruthisingh
that are usually found or expected to
be included in a lease deed. The right of the respondent to transfer his
interest under the documents ... manifest, and the clever phraseology used
or the ingenuity of the document-writer hardly conceals the real intent. I,
therefore, hold that under the document
Petroleum India International vs Deputy Commissioner Of Income-Tax on 25 June, 1999
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