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2016 (10) TMI 632 - HC - Income Tax


Issues:
Challenge to order under Section 260A of the Income Tax Act, 1961 regarding Assessment Year 2008-09. Question of law on assessing profit on sale of land as capital gains or business income.

Analysis:
The respondent, a bank, purchased land to construct an administrative building but later sold it during the assessment year. The respondent claimed the sale as a capital asset subject to long-term capital gain but did not reduce it from taxable income under business income. The Assessing Officer classified the profit as business income. The Commissioner of Income Tax (Appeals) upheld this decision. The Tribunal, noting the respondent was not in the land trading business and the land was a fixed asset, directed the Assessing Officer to reduce the profit element from business income, allowing the appeal.

The Revenue contested the Tribunal's decision, arguing the Assessing Officer couldn't decide without a revised return. The High Court found the Tribunal's factual findings valid, emphasizing the land was a fixed asset, not for trading. Citing precedents, the court clarified that the Appellate Authority can consider new legal points, even if not raised before the Assessing Officer. Relying on previous decisions, the court dismissed the Revenue's grievance, stating the proposed question did not raise any substantial legal issue.

In conclusion, the High Court dismissed the appeal, highlighting the Tribunal's correct assessment based on factual findings and legal precedents. The court upheld the decision to treat the land sale as capital gains, rejecting the Revenue's argument against considering new legal points.

 

 

 

 

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