Discussions Forum | ||
Home Forum Income Tax This
A Public Forum.
Submit new Issue / Query
My Issues
My Replies
|
||
Immovable property received as stock in trade by gift in not taxable, Income Tax |
||
|
||
Immovable property received as stock in trade by gift in not taxable |
||
It is written in Taxmann’s Direct Tax Ready Reckoner Ay 20014-15 and 20015-16 on page no A-208 (Para 77.5) Immovable property received as stock in trade by gift in not taxable neither in the hands of Transferor nor transferee. I am hereby reproduced the said para as under: Immovable property received as stock in trade by gift: X is a dealer in properties. On June 20, 2013, he gets a house property by gift for business purpose from A. Stamp duty value of property is ₹ 83 lac. Sec 56(2)(vii) is applicable only when property is received by an Individual or HUF as a capital assets. Since house property in the hands of X is stock-in-trade, nothing will be taxable u/s 56(2)(vii) under the head “Income from Other Sources”. In the hands of transferor A, it is not treated as transfer {transfer of an assets by gift in not treated as “transfer” u/s 47(iii)} and transferor will not be chargeable to tax u/s 45. Sec 50C will not have any role to play. If X transfers this property as stock in trade, the cost to the previous owner A will be taken as cost of acquisition of stock in trade. Please refer with special attention clause (d) of explanation of sec 56(2)(vii). Please comment on the opinion given by author (Sh Vinod K Singhania) and advice on the above issue. Posts / Replies Showing Replies 0 to 0 of 0 Records No Post / Reply found for this query Old Query - New Comments are closed. |
||