Commissioner of Income-tax, Punjab v. R. D. Aggarwal & Company — Supreme Court of India, Civil Appeals Nos. 808 and 809 of 1963, decided October 6, 1964 (Subba Rao, Shah and Sikri JJ.; judgment delivered by Shah J.), reported [1965] 1 S.C.R. 660. Indian Income-tax Act, 1922, s. 42(1) — 'business connection', meaning of. Assessees, a registered Amritsar firm of importers and commission agents, communicated orders canvassed from Indian dealers to two non-resident worsted woollen yarn manufacturers (Comptoirs Lainiers Osterieb s.a. Anvers, Belgium; Filatura e Tessitura Di Tollengno Biella, Italy) for acceptance; on resulting contracts, price was paid by the Indian dealers to the non-resident exporters and the assessees earned commission of 1%–2.5%. Contracts, payment and delivery all took place outside the taxable territories; the orders were mere offers which the assessees had no authority to accept. In AY 1952-53 the Income-tax Officer added Rs. 54,558 (5% of net total value of yarn sold by the non-residents), holding a 'business connection'; the Appellate Assistant Commissioner and Tribunal concurred; the Punjab High Court (judgment dated October 5, 1960, on References Nos. 11 and 13 of 1958) answered the first referred question negatively. Held, allowing the Commissioner's appeal by special leave to be dismissed: s. 42(1) reaches only non-resident profits arising outside the taxable territories through or from a business connection within them; such a connection — undefined by the Act — must be a real and intimate relation, with an element of continuity, between the non-resident's trading activity abroad and activity in the taxable territories contributing to the earning of his trading income, taking varied forms (agency carrying on part or incident of the business; or a relation facilitating/assisting it) and is fact-specific. Mere canvassing and transmission of orders (offers without authority to accept), with contract, price and delivery wholly outside India, is not a business connection. Sub-ss. (2) and (3) of s. 42 are special illustrations and do not restrict the connotation. Remington Typewriters (L.R. 58 I.A. 42), Currimbhoy Ebrahim (L.R. 63 I.A. 1), Bangalore Woollen Mills ((1950) 18 J.T.R. 423), Abdullabhai Abdul Kadar ((1952) 22 I.T.R. 241), Anglo-French Textile ([1953] S.C.R. 454) and Hira Mills ((1946) 14 I.T.R. 417) reviewed; Abdullabhai distinguished from Hira Mills on whether the agents bought/sold goods or merely canvassed offers. Appeals dismissed with costs.