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1986 (3) TMI 96 - AT - Income Tax

Issues:
1. Inclusion of interest paid on a loan while calculating capital gain.
2. Interpretation of 'cost of improvement' and 'cost of acquisition' under Income-tax Act, 1961.

Analysis:
1. The appeal before the Appellate Tribunal concerned the inclusion of interest paid on a loan while calculating capital gain. The assessee, an individual, sold a flat and claimed the cost of acquisition including interest paid on a loan. The Income Tax Officer (ITO) allowed a lower cost, excluding the interest. The Appellate Assistant Commissioner (AAC) directed the ITO to accept the cost of the flat as claimed by the assessee. The revenue appealed, arguing that the interest should not be included. The Tribunal held that the interest paid on the loan should be considered in determining the 'cost of acquisition' of the asset sold, citing relevant legal provisions and precedents. The case was remanded to the ITO for further investigation.

2. The Tribunal analyzed the definitions of 'cost of improvement' and 'cost of acquisition' under sections 55(1)(b) and 55(2) of the Income-tax Act, 1961. It noted that the restriction on disallowance of interest applies to 'cost of improvement' and not 'cost of acquisition.' Citing decisions in various cases, including Maithreyi Pai, the Tribunal emphasized that interest paid on borrowed capital for purchase should form part of 'the cost of acquisition' if not previously deducted. The Tribunal directed the ITO to reevaluate the case considering these observations and ensuring a fair opportunity for the assessee to present their case. The appeal was allowed for statistical purposes.

This detailed analysis of the judgment highlights the issues involved, the arguments presented by the parties, and the Tribunal's legal reasoning in reaching its decision.

 

 

 

 

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