M/S. BANGALORE CLUB vs. COMMISSIONER OF INCOME TAX
SLP(C) No.-014470-014470 - 2006Supreme Court14 Jan 2013
Section 260A
business or
otherwise for his own benefit cannot be
regarded as his income ... The contributions are,
in substance, advances of capital for a common
purpose, which are expected to be exhausted
during the year for which they are paid. They
are not income of the collective body of
members any more than the calls paid by
members of a company