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2013 (7) TMI 408 - AT - Income Tax


Issues Involved:
1. Classification of income from the sale of shares as business income or short-term capital gains.

Detailed Analysis:

1. Classification of Income from Sale of Shares:
The core issue in this appeal was whether the income of Rs. 11,25,860 from the sale of shares should be treated as business income under Section 28 of the Income Tax Act or as short-term capital gains.

Assessing Officer's Findings:
The Assessing Officer (AO) observed that the assessee was involved in the purchase and sale of shares, both from the secondary and primary markets, and was also engaged in speculative activities and trading in futures and options. The AO noted that the assessee's approach to the securities market indicated an intention for profit-making rather than long-term investment. The AO issued a detailed show cause notice to the assessee, questioning why the short-term capital gains should not be treated as business income. The AO concluded that the assessee was conducting a business of purchase and sale of shares for profit and treated the short-term capital gains as business income.

Assessee's Contentions:
The assessee argued that she was not a dealer in shares and did not have an organized setup for business, such as an office or staff. The assessee contended that the transactions were intended for investment purposes, not business. She relied on the decision of the Tribunal in the case of Gopal Purohit and other cases to support her claim. The assessee also highlighted that the shares were held for varying periods, with significant gains from shares held for longer durations, indicating an investment motive.

CIT(A)'s Observations:
The Commissioner of Income Tax (Appeals) [CIT(A)] analyzed the facts and concluded that the assessee was a trader in shares, not an investor. The CIT(A) listed several factors indicating that the assessee acted as a trader:
- Large scale transactions of purchase and sale of shares on a regular basis.
- Involvement in various business activities related to shares, including intraday speculative transactions and futures options.
- Lack of substantial dividend income.
- Short holding periods for many shares.
- Purchasing shares in bulk and selling them in smaller quantities, akin to a trader.
- High turnover.

Tribunal's Analysis and Conclusion:
The Tribunal carefully considered the submissions and the findings of the AO and CIT(A). It noted that the assessee had shown net long-term capital gains of Rs. 23,47,474, which were accepted by the AO. The assessee had also purchased and sold shares, resulting in short-term capital gains of Rs. 11,25,860. The Tribunal observed that the majority of the gains came from shares held for longer durations, and the assessee had not borrowed funds for investment in shares. The shares were held under the head 'investment' in the balance sheet.

The Tribunal disagreed with the CIT(A)'s findings that the assessee was actively involved in speculative transactions and futures options. It noted that the speculative transactions involved only three scrips, and the futures options transactions were limited to one scrip. The Tribunal emphasized that the intention of the assessee was to earn gains from the escalation of share prices, not to trade in shares. It also highlighted that similar transactions in earlier years were accepted as short-term capital gains.

Final Judgment:
The Tribunal concluded that the income from the sale of shares should be assessed as short-term capital gains, not business income. The appeal of the assessee was allowed, and the income of Rs. 11,25,860 was directed to be assessed under the head short-term capital gains.

Order Pronounced:
The order was pronounced on 8th May, 2013.

 

 

 

 

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