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1994 (5) TMI 45 - AT - Income TaxAssessing Officer, Assessment Year, Bonus Shares, Capital Gains In Respect, Statutory Deduction
Issues:
Taxability and quantification of capital gains. Analysis: The case involved the Department appealing the deletion of the addition of capital gains on the sale of shares by the CIT (Appeals). The Department argued that the conversion of shares into stock-in-trade was to avoid capital gains tax, citing the Supreme Court decision in McDowell's case. The Assessing Officer calculated the capital gains based on the sale price and cost price, resulting in an additional tax liability of Rs. 23,370. The CIT (Appeals) disagreed and held that only the profit amount of Rs. 42,730 should be taxable. Upon review, the Tribunal noted the changes in the law effective from 1-4-1985, specifically section 45(2) regarding the computation of capital gains on converted shares. The Tribunal found that the Assessing Officer's calculation was incorrect as it did not consider the conversion price and cost price difference for taxation. The Tribunal determined that the correct tax liability should be higher than the Rs. 23,370 added by the Assessing Officer, as 45% of the profit amount of Rs. 42,730 should also be included. The Tribunal highlighted an error in the CIT (Appeals) order where the deletion of the Rs. 23,370 addition was based on an incorrect interpretation of the law. The Tribunal clarified that the entire difference between sale price and cost price should not be treated as capital gains, but only the difference between conversion price and cost price. The Tribunal also distinguished this case from a previous decision, emphasizing the applicability of section 45(2) for the assessment year in question. Ultimately, the Tribunal allowed the Departmental appeal, reversing the CIT (Appeals) decision and restoring the addition of Rs. 23,370 to the total income. The Tribunal concluded that the capital gains should be computed based on the conversion price and cost price difference, in accordance with the relevant legal provisions.
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