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2018 (12) TMI 696 - HC - Income Tax


Issues Involved:
1. Valuation of closing stock of shares based on "since realized value."
2. Confirmation of the value of closing stock determined by the Commissioner of Income Tax (Appeals).

Issue-wise Detailed Analysis:

1. Valuation of Closing Stock of Shares Based on "Since Realized Value":

The primary issue in this case is whether the assessee was justified in valuing the closing stock of shares on the basis of "since realized value," which is the value actually realized by the assessee on the sale of the stock during the first month after the end of the financial year.

The assessee argued that due to significant fluctuations in share prices caused by a scandal, the valuation should reflect a realistic value. The assessee adopted the "since realized price" method, which he claimed was an accepted method in accordance with the Accounting Standard (AS) prescribed by the Institute of Chartered Accountants of India (ICAI).

The Assessing Officer (AO) rejected this method, asserting that the valuation should be based on the market value as of the balance sheet date, following the principle of "market price" or "cost price," whichever is lower. The AO determined the market value of the closing stock from the National Stock Exchange website.

The Commissioner of Income Tax (Appeals) [CIT(A)] upheld the AO's decision, stating that the valuation must be on "cost" or "market" basis and adopted the cost of the closing stock as it was lower than the market value.

The Tribunal agreed with the CIT(A), emphasizing that the assessee cannot re-write his accounts based on events occurring after the finalization of the same. The Tribunal held that the valuation should be on "cost" or "market" value, whichever is lower.

2. Confirmation of the Value of Closing Stock Determined by the Commissioner of Income Tax (Appeals):

The CIT(A) and the Tribunal both confirmed the AO's determination of the closing stock value. They rejected the "since realized value" method, stating that it was unconventional and an attempt to re-write accounts.

The High Court reviewed the relevant accounting standards and legal precedents. It noted that the assessment year in question was the first year of the assessee's business in stock trading, which is significant since the question of maintaining a consistent accounting standard does not arise.

The court referred to Accounting Standard-4 (AS-4) and Valuation of Inventories (AS-2) issued by the ICAI, which support the concept of net realizable value and contingencies occurring after the balance sheet date. The court also considered the Income Tax Department's notifications on accounting standards, emphasizing prudence, substance over form, and materiality.

The court found that the assessee's method of valuing the closing stock based on the actual realized price was in line with the accounting standards and principles of conservatism. It held that the method adopted by the assessee did not lack bona fides and reflected the true state of affairs.

Conclusion:

The High Court concluded that the assessee's method of valuation based on the "since realized price" was permissible and consistent with the accounting standards. It set aside the orders of the Tribunal and the authorities below, answering the substantial questions of law in favor of the assessee. The appeal filed by the assessee was allowed, with no costs.

 

 

 

 

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