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Issues Involved:
1. Justification of the Tribunal's method for estimating the fair market value of the property. 2. Availability of material for determining the multiplier used by the Tribunal. Issue-wise Detailed Analysis: 1. Justification of the Tribunal's Method for Estimating the Fair Market Value of the Property: The Tribunal adopted the method of capitalizing the net annual rental value at 10 years' purchase to estimate the fair market value of the property as on January 1, 1954. The Tribunal considered various factors to arrive at this multiple, including the cost incurred by the assessee, the assessee's own estimates in previous years, the use of the property as business premises, sales of nearby sites, and potential appreciation in market value. The High Court, referencing several authoritative sources and previous judgments, emphasized that the method of determining the value of property by applying an appropriate multiplier to the net annual income is satisfactory only if the property is fully developed and the income is normal commercial income. In cases where the property is not fully developed or the return is not commercial, this method may yield misleading results. The Court cited *Rustom Cavasjee Cooper v. Union of India* and *State of Kerala v. P. P. Hassan Koya*, which support the capitalization of net annual profit as a method of valuation, especially for business properties. The Court also referred to authoritative texts by C. A. Gulanikar and Parks, which discuss the factors influencing the determination of the multiplier, such as the type and location of the premises, continuity and amount of rent, and the expected rate of return. The High Court concluded that the Tribunal correctly stated the principles of valuation but failed to give a finding on the rate of return an investor would expect. The Tribunal's reliance on the estimated cost of construction and sale of nearby sites was deemed irrelevant for determining the number of years' purchase value. The Court noted that the income method of valuation is ideally suited for commercial buildings and that rent realized is not generally related to the cost of construction. 2. Availability of Material for Determining the Multiplier Used by the Tribunal: The Tribunal adopted a multiplier of 10 without providing sufficient material to support this decision. The High Court pointed out that in the assessee's wealth-tax assessments for the year 1957-58, the Wealth-tax Officer had used a multiplier of 17 to value the same properties. The Tribunal did not provide reasons for deviating from this established valuation method. The Court highlighted that the Tribunal should have determined the rate of return expected by an investor in the class of property in question. The number of years' purchase value should be based on this rate of return. The Court found that the Tribunal's determination of the multiplier was made without considering the expected rate of return and was therefore arbitrary. The High Court concluded that the Tribunal's adoption of the multiple of 10 was not supported by material evidence and was arbitrary. The Court directed the Tribunal to rehear the appeal and determine the rate of return expected by an investor in January 1954 in Bangalore City. Conclusion: The High Court answered the first question in the negative, indicating that the Tribunal was not justified in its method for estimating the fair market value of the property. Consequently, the second question was deemed unnecessary. The Tribunal was directed to rehear the appeal and determine the appropriate rate of return for the class of property in question. The assessee was awarded costs, with an advocate's fee of Rs. 250.
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