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2010 (3) TMI 1116 - AT - Income Tax

Issues involved:
The judgment involves the interpretation of u/s.54 of the Income Tax Act, 1961 regarding the eligibility of the assessee for deduction on capital gains from the sale of property for the purchase of a new asset.

Summary:

Issue 1: Eligibility for deduction u/s.54(1) of the Act
The assessee declared total income and disclosed taxable capital gain on the sale of property. The AO contended that the assessee did not utilize the entire gains for the purchase of a new asset, resulting in the addition of long-term capital gains. On appeal, the ld. CIT(A) held that the purchase of the new house was out of borrowed funds, not from the sale proceeds, and denied the exemption claimed u/s.54. The Tribunal considered the facts and upheld the assessee's claim for deduction u/s.54(1) based on the decision in ACIT vs. Dr. P.S. Pasricha, where it was established that the source of funds for the new asset is irrelevant as long as the property is acquired within the specified period.

Issue 2: Enhancement of taxable capital gain
The ld. CIT(A) enhanced the taxable capital gain amount. The assessee challenged this enhancement, questioning the justification behind the increase. The Tribunal, referring to the precedent set in ACIT vs. Dr. P.S. Pasricha, upheld the assessee's claim and allowed the deduction under u/s.54(1) of the Act. The Tribunal found no fault in the assessee's actions and dismissed the appeal, concluding that the assessee was entitled to the deduction.

In conclusion, the Tribunal allowed the assessee's appeal, ruling in favor of the assessee's eligibility for deduction u/s.54(1) of the Act. The judgment emphasized that the source of funds for the new asset is not a determining factor as long as the property is acquired within the specified period.

 

 

 

 

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