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1950 (5) TMI 34 - HC - Income Tax

Issues Involved:
1. Whether the surplus realized by the company on the sales of shares and securities is taxable income.

Issue-wise Detailed Analysis:

1. Taxability of Surplus Realized on Sales of Shares and Securities:
The primary issue for determination was whether the surplus realized by the company on the sales of shares and securities constituted taxable income. The assessees, a private limited company, argued that the profits from the sales of shares were merely changes in investments and not taxable as they were not part of the business activities. On the other hand, the Income-tax authorities contended that the profits were made in the course of business and hence taxable.

Findings of the Tribunal:
- The Tribunal found that the company had been financing and promoting the business of other companies and had to vary its holdings from time to time.
- The company carried on the business of financiers, which was one of the objects mentioned in its memorandum of association.
- The profits realized by the company were taxable as profits of the business carried on by the assessees.

Arguments Presented:
- The assessees argued that the transactions were merely changes of investments and any profit made was not taxable as it was not part of their business activities.
- The Income-tax authorities argued that the profits from the sales of these investments were made in the course of the business and hence taxable.

Legal Precedents and Principles:
- The judgment referred to several cases, including Punjab Co-operative Bank v. Commissioner of Income-tax, Punjab and Dalmia Cement, Ltd. v. Commissioner of Income-tax, Bihar & Orissa, to establish that profits from the sale of investments could be taxable if the sales were part of the business activities.
- The judgment also discussed the Scottish Investment Trust Co. v. Forbes case, where it was held that the net gain by realizing investments at larger prices than paid constituted profits chargeable with income-tax if selling investments formed an essential feature of the business.
- The Californian Copper Syndicate v. Harris case was cited, emphasizing that enhanced values obtained from the realization or conversion of securities might be assessable if they were part of carrying on a business.

Conclusion:
The Tribunal concluded that the sales of shares giving rise to the profit sought to be taxed were normal steps in carrying on the business of the company. The company was not merely changing investments but was conducting business activities that included financing and promoting other companies, which involved selling and buying shares. Therefore, the profits from such sales were liable to tax.

Final Judgment:
The High Court affirmed the Tribunal's decision, holding that the surplus realized by the company on the sales of shares and securities was taxable income. The Court emphasized that the transactions were part of the company's business activities and not merely changes in investment. The question formulated for the Court's opinion was answered in the affirmative, making the profits from the sale of shares and securities taxable.

Separate Judgment:
Sinha, J. concurred with the judgment, agreeing that the profits realized on the change of investments were taxable as they were part of the business activities of the company. The findings of the Tribunal were supported by evidence, and the profits were considered revenue profits and taxable.

 

 

 

 

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