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1982 (7) TMI 118 - AT - Wealth-tax

Issues: Valuation of shares, treatment of non-refundable deposits, application of rule 1D, inconsistency in valuation, enhancement of net wealth, powers of the Tribunal

Valuation of shares:
The assessee valued shares of a company using the break-up method, calculating the market value at Rs. 6.50 based on the break-up value of Rs. 8.65. The WTO revalued the shares at Rs. 356.40, considering non-declaration of dividends and non-refundable deposits. The Commissioner (Appeals) upheld this valuation. The assessee argued for acceptance of the break-up method valuation and inclusion of an extra amount due from the company.

Treatment of non-refundable deposits:
The authorities treated a deposit as non-refundable for enhancing the company's assets while valuing shares, but as refundable for inclusion in the assessee's net wealth. The assessee highlighted the inconsistency, stating that the deposit was initially non-refundable but later deemed refundable. The Tribunal found this inconsistent view unacceptable.

Application of rule 1D:
Both parties assumed rule 1D applied for valuing shares under the break-up method. However, the Tribunal determined that rule 1D does not apply to an investment company like the one in question. The Tribunal emphasized that the valuation approach adopted by both parties was incorrect.

Inconsistency in valuation:
The Tribunal observed inconsistencies in the valuation approach adopted by the assessee and the department. The Tribunal found fault with the wavering stand on the nature of the deposit and the incorrect application of rule 1D. The Tribunal emphasized the need for a proper valuation based on correct facts and law.

Enhancement of net wealth:
The Tribunal directed the matter back to the WTO for reevaluation based on the observations made. The Tribunal clarified its authority to enhance the net wealth but stressed the importance of providing the assessee with an opportunity to present their case before any enhancement.

Powers of the Tribunal:
The Tribunal clarified its role as the final fact-finding authority bound by correct facts and applicable law. The Tribunal emphasized the need to address fundamental issues rather than limiting the decision to agreed positions between the parties. The Tribunal allowed the appeal for statistical purposes, indicating a need for a reassessment based on correct facts and law.

 

 

 

 

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