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1985 (4) TMI 48 - HC - Income Tax

Issues Involved: Determination of whether silver utensils can be considered as personal effects of the assessee and if they are excluded from the definition of "capital asset" under section 2(14) of the Income-tax Act, 1961.

Summary:
The petitioner, assessed as an individual under the Income-tax Act, 1961 and Wealth-tax Act, 1957, declared a net gain from the sale of silver utensils as non-taxable capital gain. The Income-tax Officer disagreed, subjecting the gains to capital gains tax. The Commissioner also ruled against the petitioner, stating the utensils were not in daily use and thus not personal effects. The petitioner argued that the utensils were for personal use by himself and family members, citing previous court decisions supporting this view.

In analyzing the definition of "capital asset" under section 2(14) of the Income-tax Act, the court referred to precedents where items intended for personal or household use were considered personal effects. The Supreme Court's interpretation emphasized that personal effects need not be used daily but must be meant for personal use in the ordinary course. The Commissioner's restrictive test was deemed incorrect as not all personal effects require daily use, leading to an error in the decision based on a misreading of previous case law.

Consequently, the court ruled in favor of the petitioner, holding that the silver utensils qualified as personal effects and were excluded from the definition of "capital asset." The respondents were ordered to pay the petitioner's costs incurred in the petition.

 

 

 

 

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