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2018 (5) TMI 1080 - AT - Income Tax


Issues:
1. Addition under section 56(2)(vii)(b) of the Income Tax Act.
2. Applicability of provisions of section 56(2)(vii)(b) on the date of transfer of immovable property.

Analysis:

Issue 1: Addition under section 56(2)(vii)(b) of the Income Tax Act
The appeal was against the order confirming the addition of Rs. 8,16,208 under section 56(2)(vii)(b) of the Income Tax Act by the Assessing Officer. The discrepancy arose from the difference between the value of the property as per the balance sheet and the value as per the ganatri-patrak furnished by the sub-registrar. The appellant contended that the provisions of section 56(2)(vii)(b) were not in force on the date of transfer of the property. However, both the Assessing Officer and the CIT(A) upheld the addition. The appellant's 8% share in the property was valued at Rs. 26,16,208 according to the sub-registrar's records, while the balance sheet reflected it at Rs. 18,00,000. The addition was made based on this difference in valuation.

Issue 2: Applicability of provisions of section 56(2)(vii)(b) on the date of transfer of immovable property
The appellant argued that the provisions of section 56(2)(vii)(b) were not applicable in their case as the sale deed was dated 30.03.2013, before the provisions came into effect on 01.04.2014. The appellant provided evidence to support this claim, including the sale deed signed on 30.03.2013, although it was registered on 01.04.2014. The appellant relied on a judgment of the Gujarat High Court, CIT Vs. Mormasji Mancharji Vaid, which emphasized that the transfer of an asset is considered complete when the title of the transferor is extinguished and the title of the transferee is created. The High Court's judgment supported the appellant's argument that the date of transfer should be considered as the date when the document was signed, not when it was registered. The Tribunal agreed with this interpretation and allowed the appeal, concluding that section 56(2)(vii)(b) was not applicable in the appellant's case.

In conclusion, the Tribunal allowed the appeal, ruling in favor of the appellant based on the non-applicability of section 56(2)(vii)(b) on the date of transfer of the immovable property. The judgment highlighted the importance of the date of transfer in determining the applicability of relevant tax provisions, as supported by legal precedent.

 

 

 

 

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