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2010 (9) TMI 1086 - AT - Income Tax

Issues Involved:
The judgment deals with the issue of whether the assessee is entitled to deduction u/s.54F for the assessment year 2006-07 based on the sale of agricultural land and acquisition of a Villa in Madh Island near Mumbai.

Capital Gains Calculation and Claim u/s.54F:
The assessee sold agricultural land and invested the sale proceeds in a Villa in Madh Island. The AO rejected the claim u/s.54F on the grounds that the assessee was not the absolute owner of the house and that it was proposed to be used as a commercial premises. The CIT(A) upheld the AO's decision based on clauses in the lease document.

Interpretation of Lease Document and Legal Precedents:
The assessee contended that the 99-year lease practically conferred absolute dominion and control over the property, satisfying the requirements of sec.54F. Legal precedents were cited to support the argument that a lease of 99 years should be considered as property purchased. The Supreme Court judgments and High Court decisions were referred to in this regard.

Character of the Property - Residential or Commercial:
The assessee argued that the property was a residential house based on various pieces of evidence such as BMC records, electricity bills, and tax returns. The departmental representative claimed that the lease restrictions and payment of premium contradicted the claim of complete dominion over the property.

Tribunal's Decision:
The Tribunal analyzed the lease document clauses and legal precedents to conclude that the assessee had purchased the Villa and satisfied the conditions of sec.54F. It was held that the property was a residential house, not commercial premises. The CIT(A)'s reliance on certain clauses of the lease deed was deemed unjustified, and the assessee was granted the deduction u/s.54F.

This judgment highlights the importance of legal interpretation, precedents, and evidence in determining tax deductions related to property transactions.

 

 

 

 

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