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Issues:
1. Capital gains inclusion in total income. Analysis: The case involved the assessment of capital gains amounting to Rs. 41,11,414 in the total income of the assessee for the assessment year 1983-84. The property in question, 'Ranjit Villas Palace' in Rajkot, was inherited by the assessee on the death of his father. The Income-tax Department attached and sold a portion of the vacant land, resulting in a gross realisation of Rs. 65,50,870. The assessee contended that no capital gains should be calculated as the property was acquired by conquest, and there was no cost of acquisition. The Income Tax Officer (ITO) estimated the cost of the land and calculated the capital gains, which was included in the total income of the assessee. The Commissioner (Appeals) upheld the ITO's decision, leading the assessee to appeal before the Tribunal. The assessee argued that as per the provisions of section 49 of the Income-tax Act, the cost of acquisition should be nil as the property was acquired by conquest by his forefathers. The assessee relied on a decision of the Madhya Pradesh High Court in a similar case to support his contention. The department representative supported the ITO's decision but failed to address the assessee's argument effectively. The Tribunal, after considering the submissions and legal provisions, held in favor of the assessee. Citing the Supreme Court decision in the case of B.C. Srinivasa Setty, the Tribunal concluded that when there is no cost of acquisition, the computation of capital gains fails, and the gains cannot be taxed. The Tribunal found that the property was acquired by conquest, and the cost of acquisition was nil. Therefore, the Tribunal deleted the capital gains amount from the total income of the assessee. The Tribunal also referenced an alternative submission made by the assessee, which was supported by a previous Tribunal order, further strengthening the decision in favor of the assessee. In conclusion, the Tribunal allowed the appeal, ruling in favor of the assessee and deleting the capital gains inclusion in the total income. The decision was based on the absence of cost of acquisition due to the property's historical acquisition by conquest, aligning with the legal principles established in relevant court judgments.
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