VATSALA SHENOY vs. JT.COMMISSIONER OF INCOME TAX
C.A. No.-001234-001234 - 2012Supreme Court18 Oct 2016
Section 260Section 583(4)(a)
28)
When we apply the said legal principle to the facts of the instant case,
we find that the partnership firm had dissolved and thereafter winding up
proceedings were taken up in the High Court. The result of those
proceedings was to sell the assets of the firm and distribute the share
thereof to the erstwhile partners. Thus, the 'transfer