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Issues involved:
The judgment involves the following issues: 1. Whether capital gains were chargeable to tax in the assessment year 1974-75? 2. Whether capital gains are chargeable to tax in the year of transfer of capital asset, even if the initial compensation is determined and becomes payable in subsequent years? 3. Whether capital gains are chargeable to tax in the year of transfer, even if no gains could be computed under section 48 during that year? 4. Whether the analogy relating to enhanced compensation under specific provision of law can be extended to the case of initial compensation without any specific provision? Details of the Judgment: The High Court of Madhya Pradesh considered a case where agricultural land owned by an individual was acquired by the Improvement Trust. The issue revolved around the taxation of capital gains arising from this acquisition. The Income Tax Officer (ITO) proposed to tax the capital gains during the assessment year 1974-75, but the assessee objected, stating that the compensation amount had not been determined during that year. The Assessing Officer (AO) determined the capital gains based on the compensation amount and deductions, leading to an appeal by the assessee. The Appellate Authority Commissioner (AAC) held that capital gains accrued when the compensation was determined in the subsequent year, not during the acquisition year. The Department appealed to the Tribunal, which ruled that capital gains are chargeable in the year of transfer, not when compensation is determined. The Tribunal remanded the case to the AAC for further consideration. The assessee argued that capital gains should be taxed in the year when the consideration for transfer accrued, not in the year of actual transfer. The High Court analyzed the relevant provisions of the Income Tax Act and the M.P. Town Improvement Trust Act. It concluded that capital gains must be assessed in the year of transfer, which occurred when the land was compulsorily acquired by the Trust. The Court emphasized that the date of consideration receipt is irrelevant for determining tax liability under the deeming provisions of the Income Tax Act. The Court referred to a Supreme Court decision to support its interpretation of the tax liability on capital gains. It distinguished the case from situations where computation provisions cannot be applied, emphasizing that the provisions governing reliefs for the assessee do not render the computation provisions unworkable. The Court upheld the Tribunal's decision that capital gains were chargeable in the assessment year 1974-75, rejecting the assessee's arguments regarding the timing of consideration accrual. In conclusion, the Court answered the first three questions in favor of the Department, affirming that capital gains were taxable in the year of transfer. The fourth question regarding entitlement to reliefs was deemed not arising from the Tribunal's order. The Court declined to answer this question, and each party was directed to bear their own costs in the reference.
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