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Issues:
The appeal filed by the revenue under Section 260A of the Income Tax Act challenging the order of the Income Tax Appellate Tribunal for the assessment year 1993-94. Revaluation of Assets: The assessment for the year 1993-94 was reopened due to the revaluation of assets, resulting in an increase in value by Rs. 17,34,86,772. The Assessing Officer considered this increase as short term capital gain under Section 50 of the Act. Appellate Proceedings: The CIT(A) upheld the Assessing Officer's order, but the Tribunal allowed the appeal of the respondent-assessee based on the Supreme Court decision in CIT vs. Hind Construction. The Tribunal held that revaluing assets does not attract capital gain tax. Conversion of Partnership Firm: The revenue argued that the revaluation was done for the purpose of converting the partnership firm into a limited company, making the capital gain tax applicable under Section 45(4) of the Act. However, it was found that the conversion took place in a subsequent year, not during the relevant assessment year. Precedent and Decision: The Tribunal's decision was supported by the Punjab & Haryana High Court case of CIT Vs. Rita Mechanical Works, where it was held that mere revaluation of assets in a partnership firm does not result in capital gain tax liability. The Tribunal's reliance on the Hind Construction case was deemed appropriate, and no substantial question of law was found to arise. Conclusion: The High Court dismissed the appeal, stating that the revaluation of assets did not attract capital gain tax as there was no transfer or sale involved. The decision of the Tribunal, based on relevant precedents, was upheld, and no costs were awarded.
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