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2007 (3) TMI 184 - HC - Income TaxValuation of stock Tribunal in his order held that assessee is continuing its business and therefore closing stock to be valued at market price or cost price whichever is lower HC found no error and upheld the order of tribunal
Issues:
Valuation of stock-in-trade based on cost price or market price, Admissibility of claim for the assessment year 1995-96, Comparison of valuation methods in different assessment years, Applicability of established rules of commercial practice and accountancy. Valuation of Stock-in-Trade: The appeal concerned the valuation of stock of shares by an assessee company for the assessment year 1995-96. The Assessing Officer disallowed the claim of the assessee, as the method of valuation was at cost price while the actual valuation was done based on market price. On appeal, the Commissioner of Income Tax (Appeals) upheld the decision of the Assessing Officer. However, the Tribunal ruled in favor of the assessee, stating that the shares could be valued at either cost price or market price, whichever is lower. The Tribunal then deleted the addition of the difference between the cost price and market price of the shares. Admissibility of Claim: The Tribunal's decision was challenged by the Revenue through an appeal, raising questions regarding the correctness of the Tribunal's ruling. The Revenue contended that the claim made by the assessee should not have been allowed based on the method of valuation used. However, Mrs. Pushya Sitaraman, the learned Senior Standing Counsel for the Revenue, acknowledged that the issues raised in the appeal had been settled in favor of the assessee by previous legal precedents. Comparison of Valuation Methods: The Tribunal's decision was supported by the Apex Court's ruling in Sakthi Trading Co. v. Commissioner of Income Tax, [2001] 250 ITR 871, which emphasized that the closing stock should be valued at cost or market price, whichever is lower, in the absence of business cessation. Additionally, the decision of the Court in Commissioner of Income Tax v. Karur Vysya Bank Ltd., [2005] 273 ITR 510, highlighted the taxpayer's freedom to choose the method of valuing stock-in-trade based on cost or market price for trade purposes. Established Rules of Commercial Practice: The Tribunal's order was based on the fact that the assessee was continuing its business without any cessation. The Tribunal's decision to allow valuation at market price or cost price, whichever is lower, was deemed legal and in line with established principles. Consequently, the High Court found no substantial question of law warranting consideration and dismissed the appeal, emphasizing the absence of illegality or infirmity in the Tribunal's decision. No costs were awarded in the case.
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