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1985 (12) TMI 35 - HC - Income Tax

Issues:
Interpretation of forward contracts as hedging contracts for set-off against other income under Income-tax Act, 1961.

Analysis:
The judgment addresses the issue of whether forward contracts for sales should be treated as hedging contracts for setting off losses against other income. The Income-tax Appellate Tribunal upheld the assessee's claim that the losses from forward contracts were due to stock value depreciation, qualifying for set-off under relevant provisions. The Tribunal considered a circular issued under the repealed Indian Income-tax Act, 1922, allowing the set-off under specified sections. However, the Revenue argued that the circular couldn't override current enactment provisions if no actual delivery contract existed.

The court deliberated on the binding nature of circulars issued under repealed enactments, emphasizing consistency with current laws. It narrowed the interpretation of the circular to align with the Income-tax Act, 1961, requiring a pre-existing contract for actual delivery of goods for set-off eligibility. The court analyzed the definition of speculative transactions under section 43(5) and the significance of proviso (a) in exempting certain contracts from being deemed speculative.

The judgment highlighted the absence of a clear finding by the Tribunal regarding the existence of a pre-existing delivery contract. It referred to previous Supreme Court and High Court decisions to emphasize the importance of determining this crucial fact for assessing the validity of the assessee's claim. The court concluded that until the existence of a pre-existing delivery contract is established, the question referred cannot be definitively answered. Therefore, the Tribunal was directed to ascertain the presence of such a contract before making a decision on the set-off claim.

In conclusion, the court emphasized the necessity of a pre-existing contract for actual delivery of goods to qualify hedging sales for set-off under the Income-tax Act, 1961. The judgment underscores the importance of factual determinations in tax matters and directs the Tribunal to investigate and establish the presence of such a contract before making a final decision.

 

 

 

 

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