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Issues Involved:
1. Computation of capital gain and fixation of the quantum. 2. Validity of the assessment of capital gain as long-term capital gain. 3. Entitlement to the benefit of section 80T of the Income-tax Act, 1961. Detailed Analysis: 1. Computation of Capital Gain and Fixation of the Quantum: The court examined whether the manner and method of computing capital gain and the fixation of the quantum were in accordance with the law. The assessee sold a residential house in Trivandrum and used the proceeds to purchase another property in Madras, which was subsequently sold within three years. The Tribunal's tabulation showed the sale proceeds and deductions, leading to the computation of long-term capital gains. The court scrutinized the application of section 54(1)(ii) of the Income-tax Act, which provides for the adjustment of the cost of the new asset by the amount of the capital gain from the old asset. The Tribunal's approach was found consistent with the statutory provisions, except for its final conclusion that the character of the capital gain as long-term could not be obliterated despite the sale of the new asset within three years. 2. Validity of the Assessment of Capital Gain as Long-term Capital Gain: The court addressed whether the assessment of capital gain as long-term capital gain was valid. The Tribunal had concluded that the initial exemption granted under section 54(1)(ii) would be forfeited if the new asset was sold within three years, implying that the capital gain from the old asset would be taxed. The court agreed with this interpretation, emphasizing that the statutory language of section 54 clearly indicates forfeiture of the benefit if the new asset is sold within three years. The court rejected the Tribunal's view that the character of the capital gain as long-term could not be changed, affirming that the statutory provisions mandate the revival of the capital gain amount for taxation. 3. Entitlement to the Benefit of Section 80T: The court considered whether the assessee was entitled to the benefit of section 80T of the Income-tax Act. Section 80T pertains to deductions on long-term capital gains, excluding short-term capital assets. The Tribunal's reasoning that the sale of the Madras property within 36 months should be treated as short-term capital gain and not subject to section 54 was found erroneous. The court clarified that the statutory provisions of section 54 apply to long-term capital assets, and any capital gain arising from the transfer of the new asset within three years must be adjusted by the amount of the capital gain from the old asset, leading to a forfeiture of the initial exemption. Consequently, the court determined that the assessee was not entitled to the benefit of section 80T for the capital gain arising from the sale of the Madras property. Conclusion: The court answered the question in the negative, in favor of the Revenue and against the assessee, concluding that the computation and assessment of capital gains were in accordance with the law, and the assessee was not entitled to the benefit of section 80T. The court also appreciated the assistance of the amicus curiae and recommended a token payment for his efforts.
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