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1977 (1) TMI 42 - HC - Wealth-tax

Issues:
1. Interpretation of section 4(1)(a)(i) of the Wealth-tax Act, 1957 regarding inclusion of asset value in net wealth.
2. Application of exemption under section 5(1)(iv) of the Wealth-tax Act, 1957 to the asset value.

Analysis:

The case involved a dispute regarding the inclusion of the value of a house property in the net wealth of the assessee for assessment years 1965-66 to 1968-69 under section 4(1)(a)(i) of the Wealth-tax Act, 1957. The assessee's wife acquired a plot of land in 1955 with funds provided by the assessee, and a house was built using a gift of Rs. 90,000 from the assessee after 1956. The dispute centered around whether the value to be included in the net wealth was the initial amount transferred (Rs. 90,000) or the value of the house (Rs. 1,60,000) on the valuation date. The Appellate Assistant Commissioner and Tribunal upheld the inclusion of the house's value. The High Court agreed, emphasizing that the value of the asset on the valuation date must be considered, not the value at the time of transfer. The court rejected the argument that only the initial amount should be included, stating that the existing asset's value on the valuation date is relevant for wealth tax assessment.

Regarding the application of exemption under section 5(1)(iv) of the Wealth-tax Act, the court referred to a previous judgment in favor of the assessee. It held that the assessee was entitled to the exemption under this section, but only up to Rs. 1,00,000 as provided by the statute, not the entire amount of Rs. 1,60,000. Therefore, the court answered the first question in the affirmative, upholding the inclusion of the house's value in the net wealth, and the second question in the negative, granting the exemption up to Rs. 1,00,000. The judgment highlighted the importance of considering the asset's value on the valuation date for wealth tax assessment and the limited extent of exemption under the relevant statutory provision.

 

 

 

 

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