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Issues Involved:
1. Appropriate method of valuation for the property: land-cum-building method vs. rental method. 2. Correct method of valuation if the land-cum-building method is not appropriate. Issue-wise Detailed Analysis: 1. Appropriate Method of Valuation for the Property: Land-cum-Building Method vs. Rental Method The Tribunal held that the land-cum-building method was the most appropriate method of valuation. The property in question, a trust property located at premises No. 8, Dover Park, Calcutta, was purchased for Rs. 1,20,000 in March 1964. The property consists of a two-storeyed building with 7 rooms, a garage, and a servant's quarters, situated on 17 cottahs and 8 chattaks of land. The assessee's father was living in the property as a tenant at a monthly rent of Rs. 434, both before and after the purchase. The Tribunal noted that the rental method could not be adopted for several reasons: - The assessee's own valuer discarded the rental method, deeming the rent of Rs. 434 per month as ridiculously low. - There was no evidence regarding the duration of the lease or whether the tenant was entitled to protection under the Rent Control Act. - The peculiar features of the property made the land-cum-building method more suitable, as explained in the Calcutta High Court's decision in J. N. Bose v. CWT. The Tribunal found that both the assessee's valuer and the AAC did not provide sufficient data to support their respective valuations of Rs. 5,000 and Rs. 15,000 per cottah. Therefore, the Tribunal directed the AAC to re-evaluate the property based on relevant material and data from the Registrar's office or from individuals involved in nearby property transactions. 2. Correct Method of Valuation if the Land-Cum-Building Method is Not Appropriate The High Court examined the appropriate method of valuation in the context of several decisions, including CED v. Radha Devi Jalan, J.N. Bose v. CWT, and Debi Prosad Poddar v. CWT. These cases emphasized that the method of valuation should depend on the specific features of the property and should provide objective data for reliance. The court reiterated that for properties subject to rent control laws, the rental method, which capitalizes the annual rent, is often the most appropriate method. The court also referred to the Supreme Court's decision in Dewan Daulat Rai Kapoor v. New Delhi Municipal Committee, which held that the annual value of a building for tax purposes should be limited to the standard rent determinable under the Rent Control Act, even if the standard rent had not been fixed by the Controller. Given the facts of the case, including the long-term tenancy and the restrictions on rent increases, the court concluded that the rental method based on actual rent received, subject to variations permissible under rent control laws, was the proper method of valuation. Conclusion The High Court answered question No. 1 in the negative, indicating that the Tribunal was not right in holding that the land-cum-building method was the most appropriate method of valuation. Consequently, for question No. 2, the court determined that the rental method based on actual rent received from the property, subject to variations under rent control laws, was the correct method of valuation. Both questions were answered in favor of the assessee, with each party bearing its own costs.
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