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2010 (9) TMI 1151 - AT - Income Tax

Issues Involved:
1. Classification of income from share transactions: whether it should be taxed under 'Long Term Capital Gains (LTCG) / Short Term Capital Gains (STCG)' or 'Income from Business & Profession'.

Detailed Analysis:

Classification of Income from Share Transactions:
The primary issue in these appeals was whether the income earned from trading in shares should be taxed under the head 'LTCG / STCG' as claimed by the assessee or under 'Income from Business & Profession' as determined by the Assessing Officer (AO).

1. Facts and AO's Findings:
- A search under Section 132 of the Income-tax Act, 1961 was conducted in the group cases of an individual on 22-09-2005, which included the assessee.
- The AO noticed that the assessee and her family members had engaged in share transactions over several years.
- The AO considered the nature, frequency, and magnitude of these transactions and concluded that they were trading in nature. Consequently, the AO taxed the income as 'Business Income' instead of 'Capital Gains'.

2. Assessee's Arguments:
- The assessee contended that the shares were acquired with the intention of investment and not trading.
- The shares were reflected as investments in the balance sheet, and the transactions were limited and not frequent.
- The assessee relied on CBDT Circular No. 4 of 2007, which distinguishes between shares held as stock-in-trade and shares held as investments.

3. CIT(A)'s Decision:
- The CIT(A) allowed the assessee's claim, stating that the transactions were not frequent or numerous enough to be considered trading.
- The CIT(A) observed that the shares were held as investments in the books of accounts and the income from these transactions was shown as capital gains in earlier years.
- The CIT(A) referenced the Gujarat High Court decision in CIT vs. Reva Shanker A. Kothari and other judicial precedents to support the conclusion that the transactions were investments.

4. ITAT's Analysis:
- The ITAT reviewed several judicial decisions and principles, including those from the Supreme Court and CBDT Circular No. 4 of 2007.
- Key principles considered included the intention at the time of purchase, frequency of transactions, treatment in books of accounts, and whether the transactions were for realizing profit or for investment.
- The ITAT found that the assessee's transactions were on delivery basis, limited in number, and the shares were treated as investments in the books of accounts.
- The ITAT upheld the CIT(A)'s decision, noting that the Revenue did not provide sufficient evidence to contradict the assessee's claim of treating the shares as investments.

5. Conclusion:
- The ITAT dismissed the Revenue's appeals and upheld the CIT(A)'s decision to treat the income from share transactions as 'LTCG / STCG' instead of 'Business Income'.
- The corresponding cross-objections raised by the assessee were also dismissed as they were not pressed during the hearing.

6. Final Order:
- The ITAT concluded that the income from share transactions should be taxed under 'LTCG / STCG' as claimed by the assessee, and the AO's order was not upheld.
- All five appeals filed by the Revenue along with corresponding cross-objections were dismissed.

Order pronounced in the court on 9-09-2010.

 

 

 

 

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