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1987 (12) TMI 80 - AT - Income Tax

Issues:
1. Determination of fair market value of property as on 1st Jan., 1964 for capital gain calculation.
2. Validity of assessment under s. 144 or s. 143(3).

Analysis:
1. The judgment pertains to cross appeals by the assessee and the Revenue regarding the assessment for the assessment year 1982-83. The primary issue revolves around determining the fair market value of a property sold by the assessee for Rs. 3,01,000 on 1st Jan., 1964 to ascertain the capital gain. The initial valuation by the ITO was Rs. 20,000, while the CIT(A) determined it to be Rs. 70,050. Both parties contested the valuation, with the assessee claiming the value to be Rs. 2,02,000 and the Revenue maintaining it at Rs. 20,000. The judgment highlighted discrepancies in the assessment order, emphasizing the lack of proper valuation methods and inadequate consideration of relevant factors. The Tribunal set aside the assessment, directing the ITO to conduct a fresh assessment with proper opportunity for the assessee to present their case effectively.

2. Another issue raised was the validity of the assessment under either section 144 or section 143(3). The controversy surrounding the assessment procedure was deemed less significant compared to the crucial aspect of determining the fair market value of the property. The judgment criticized the ITO's assessment as incoherent and lacking essential details, such as property dimensions and construction extent. The valuation methods employed were deemed unsatisfactory, with the rent capitalization method being criticized for its inadequacy in Rent Control Act governed properties with long-term tenants. The judgment emphasized the importance of proper valuation techniques and the need for a fresh assessment to accurately determine the property's value as on 1st Jan., 1964. Ultimately, the Tribunal allowed both appeals for statistical purposes, signaling the need for a comprehensive reassessment based on sound valuation principles.

 

 

 

 

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