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Issues:
1. Whether the loss incurred on the sale of shares amounted to a speculation loss. 2. Whether the principal business of the company was the grant of loans and advances, affecting the tax treatment of the loss. Analysis: 1. The revenue appealed, arguing that the loss on share transaction was a speculation loss and should be included in the total income. The CIT(A) held that the loss was not a speculation loss as the company's principal business was granting loans and advances, not trading in shares. The CIT(A) directed the exclusion of the loss from the total income based on the company's main income sources and the Memorandum of Association. 2. The departmental representative contended that the CIT(A) erred in excluding the loss from speculation business, citing past income sources and tax provisions. The representative highlighted the proviso to s.73 and a Board's Circular to support the argument that the company's business was trading, justifying the inclusion of the loss. The assessee's counsel countered by emphasizing the company's main business focus on finance and lending, supported by the Memorandum of Association and past income trends. 3. The Tribunal considered the arguments and found in favor of the assessee, upholding the CIT(A)'s decision. The Tribunal noted the detailed reasoning provided by the CIT(A) regarding the company's main business activities and income sources. Referring to the Memorandum of Association and past financial data, the Tribunal concluded that the loss on shares did not qualify as a speculation loss. The Tribunal applied the principle of a "trading company" and found no grounds to interfere with the CIT(A)'s order. 4. The Tribunal dismissed the revenue's appeal, affirming the decision that the loss on share transaction was not a speculation loss due to the company's principal business focus on finance and lending. The order of the CIT(A) was upheld based on the company's income sources and business activities as outlined in the Memorandum of Association.
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