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1996 (5) TMI 64 - HC - Income Tax

Issues:
1. Interpretation of the date of transfer in a land acquisition case.
2. Determining the legality of land transfer under section 17 of the Land Acquisition Act.
3. Taxability of capital gains in the year of taking possession.

Interpretation of the date of transfer in a land acquisition case:
The case involved a private limited company whose land was acquired by the State Government. The dispute arose regarding the date of transfer for tax assessment purposes. The Assessing Officer contended that as possession was taken by the Government in 1973, capital gains were assessable in the following year. The Tribunal upheld this view, considering the accounting period of the company. The company argued that possession was not legally transferred as the award was made later. The Tribunal found in favor of the Revenue, emphasizing the effective date of transfer as the possession date, leading to assessable capital gains in the relevant year.

Determining the legality of land transfer under section 17 of the Land Acquisition Act:
The company challenged the acquisition under section 17 of the Land Acquisition Act, claiming the land was not waste or arable. The Tribunal noted the absence of evidence supporting this claim and observed that possession was taken as required under section 17, vesting the land with the Government. The Tribunal highlighted the distinction between sections 16 and 17 of the Act, emphasizing the urgency provision under section 17 for immediate possession. The Tribunal concluded that the acquisition was valid under section 17(1) of the Act, as the Collector had taken possession in accordance with the law.

Taxability of capital gains in the year of taking possession:
Regarding the taxability of capital gains, the Tribunal affirmed that since possession was taken in 1973, and the company's accounting period started from January 1, 1973, capital gains were assessable in the subsequent year. The Tribunal rejected the company's argument that the land was not waste or arable, citing the Bombay High Court's decision and emphasizing the effective date of transfer as the possession date. The Tribunal also clarified that it lacked jurisdiction to question the validity of the land acquisition proceedings, focusing on the application of the relevant provisions of the Land Acquisition Act.

Conclusion:
The High Court upheld the Tribunal's decision, affirming the taxability of capital gains in the year of possession and validating the land acquisition under section 17 of the Land Acquisition Act. The Court deemed the questions related to the legality of the land transfer as vague and left them unanswered, emphasizing the factual circumstances of the case. The judgment favored the Revenue, directing the transmission of the decision to the Income-tax Appellate Tribunal for further action.

 

 

 

 

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