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1981 (10) TMI 77 - AT - Wealth-tax

Issues: Valuation of unquoted shares in Collis Line (P.) Ltd. for assessment years 1970-71 to 1974-75, interpretation of rule 1D of Wealth-tax Rules, application of written down values for ships, dispute over valuation method.

Analysis:
1. The appeals were filed by the revenue against the orders of the AAC regarding the valuation of unquoted shares held by three assessees in Collis Line (P.) Ltd. The common issue raised in these appeals was the valuation of ships held by the company as its fixed assets in various years under rule 1D of the Wealth-tax Rules. The transfer of three ships from Ambassador Steam Ships (P.) Ltd. to Collis Line (P.) Ltd. at different values was a key point of contention. The dispute revolved around the application of written down values and depreciation rates for these ships.

2. The assessees argued that the written down values of the ships as per the income tax assessment should be adopted for valuation under rule 1D. The AAC accepted this contention, emphasizing that assets should be valued based on their real value and not an artificial value from the balance sheet. The departmental representative highlighted the mandatory nature of rule 1D and the importance of valuing assets in the same manner as liabilities to avoid a distorted valuation picture. The Kerala High Court's ruling in Mammen Varghese case supported the application of rule 1D for valuation.

3. The departmental representative argued against adopting written down values, suggesting that market prices could be more appropriate if deviating from balance sheet figures. However, the Tribunal disagreed with the AAC's direction to use written down values for ship valuation, citing the language of rule 1D and relevant explanations. The Tribunal emphasized that assets should be valued based on balance sheet figures, considering depreciation reserves and real asset values as shown in the balance sheet.

4. Referring to Supreme Court precedents, the Tribunal rejected the argument to solely use written down values for income tax assessments as the basis for asset valuation. The Tribunal highlighted the need to consider the actual transfer values of assets and the principle of showing a true and fair view of assets in the balance sheet. The Tribunal reversed the AAC's decision and upheld the WTO's valuation method, stating that the book value in the balance sheet should be the primary basis for valuation. The appeals were allowed in favor of the revenue.

 

 

 

 

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