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Issues:
1. Whether the company had wound up its business in the assessment year 1964-65, affecting the set off of previous losses? 2. Whether unabsorbed losses from earlier assessment years can be carried forward and set off in the assessment years 1964-65 and 1965-66? Analysis: The High Court of Madhya Pradesh dealt with an application under section 256(2) of the Income Tax Act, 1961, requesting the Tribunal to refer questions of law. The applicant, a private limited company, sold Land Rover Jeeps and Rover Cars but faced franchise withdrawal and subsequently sold off all stocks without leaving any closing stock. The Income Tax Officer (ITO) disallowed the claim to set off previous losses against income for the years 1964-65 and 1965-66, stating the business was not carried on in those years. The Appellate Authority Commission (AAC) and the Tribunal upheld this decision, leading to the current application. The Tribunal found that the business had ceased based on various factors: disposal of stocks, letting out business premises, and cessation of ancillary activities like dealing in spare parts. The Tribunal concluded that the business had permanently ceased, not temporarily halted. The applicant argued that the business was not closed, citing commission income, but the Tribunal clarified that this income was unrelated to the business in question. The Tribunal's decision was based on factual findings, and the applicant's reliance on legal precedent was deemed irrelevant. The Court rejected the application, stating no legal question arose from the Tribunal's order. It emphasized that the cessation of business is a factual determination, not a legal issue. The Court distinguished the case from Setabganj Sugar Mills Ltd. v. CIT, highlighting that the circumstances did not require the application of legal principles. Therefore, the Tribunal's decision was upheld, and the application was dismissed, with each party bearing their own costs.
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