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1984 (4) TMI 101 - AT - Income Tax

Issues:
1. Disallowance of short-term capital loss on transfer of shares.
2. Trading addition of Rs. 16,324.

Issue 1: Disallowance of short-term capital loss on transfer of shares:
The appeal involved the disallowance of Rs. 50,400 as short-term capital loss on the transfer of shares by the assessee firm to its partners. The ITAT Calcutta-D noted that the CIT(A) upheld the disallowance based on the unity of identity between the firm and its partners, deeming the loss as purely notional. The CIT(A) highlighted that the purported sale of shares was merely a book entry without an actual sale taking place. The ITAT considered the legal position that a partner cannot profit from transactions with the firm and vice versa. However, the ITAT disagreed with the CIT(A) and held that the transfer of shares by the firm to its partners was genuine. It emphasized that the firm owned the shares acquired from its own funds and that a firm, being a legal entity, could transfer its assets to partners. The ITAT referred to precedents supporting the validity of such transfers and allowed the short-term capital loss claimed by the assessee.

Issue 2: Trading addition of Rs. 16,324:
The second issue pertained to a trading addition of Rs. 16,324 made by the ITO concerning the sale of cylinders by the assessee firm. The ITO added the difference between the total amount receivable and the disclosed gross profit as income of the assessee. The CIT(A) upheld the addition, noting the lack of evidence supporting additional expenditure claimed by the assessee for earning the profit. The CIT(A) also found no evidence of gas leakage expenses affecting the profit. In the appeal before the ITAT, the assessee reiterated its arguments but failed to provide further evidence. Consequently, the ITAT found no reason to interfere with the CIT(A)'s decision and upheld the trading addition of Rs. 16,324. As a result, the appeal by the assessee was partly allowed.

In conclusion, the ITAT Calcutta-D ruled in favor of the assessee regarding the disallowance of short-term capital loss on the transfer of shares, considering the genuine nature of the transfer. However, the trading addition of Rs. 16,324 was upheld due to the lack of evidence supporting the claimed expenses.

 

 

 

 

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