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1996 (6) TMI 31 - HC - Income Tax

Issues:
1. Validity of Commissioner's order under section 263 of the Income-tax Act.
2. Valuation of closing stock at market rate.
3. Distribution of assets during dissolution of a firm.

Analysis:
1. The judgment dealt with a case where the Commissioner of Income-tax set aside the original assessment of an assessee-firm as erroneous and prejudicial to the Revenue's interests. The Commissioner issued a notice to the assessee to show cause for the valuation of closing stock of silver, which was considered incorrect. The assessee contended that the valuation was based on cost price, as per the method followed for years. The Commissioner concluded that the valuation was incorrect and directed a fresh assessment.

2. The Tribunal upheld the Commissioner's decision, leading to the assessee filing a reference under section 256(1) of the Income-tax Act. The main issue was whether the closing stock should be valued at market rate or cost price as per the dissolution deed. The Supreme Court's decision in A. L. A Finn v. CIT was cited, emphasizing that for accurate trading results during dissolution, stock-in-trade must be valued at prevailing market prices. The Tribunal's decision was based on this principle, rejecting the assessee's argument that the dissolution deed authorized cost price valuation.

3. The assessee argued that the dissolution deed specified the valuation method for distributing assets during dissolution, including the closing stock of silver at cost rate. However, the court held that the true trading results of a partnership at dissolution must consider market value for accurate assessment. Therefore, the question regarding the valuation of closing stock at market rate was answered against the assessee and in favor of the Revenue. The reference was disposed of accordingly, with no costs awarded.

 

 

 

 

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