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2025 (5) TMI 872 - AT - Income TaxAddition based on report of DVO as obtained in co-owners case - HELD THAT - AO should form an opinion that value so claimed by assessee is less than its Fair Market Value (FMV). Only in such a scenario the value so claimed by assessee is less than its Fair Market Value in the opinion of AO matter can be referred to valuation officer. In a scenario where the value so claimed by the assessee is more than its fair market value the matter could not be referred to the valuation officer. It was ultimately held that the AO was not empowered to refer the matter to the valuation officer even as per the erstwhile provisions of section 55A(a) prior to amendment by the Finance Act 2012. Considering the decision of Gauranginiben S. Shodhan Ind. 2014 (2) TMI 78 - GUJARAT HIGH COURT and Puja Prints 2014 (1) TMI 764 - BOMBAY HIGH COURT and respectfully following the same hold that reference made to the DVO by AO Officer for determination of Fair Market Value was not valid so no reliance can be made on his report. Therefore the addition based on such report of DVO which is obtained in co-owners case is not legally sustainable. Thus the assessee succeeded on legal plea. No contrary facts or law is brought to my notice to take other view. In the result the grounds of appeal raised by the assessee are allowed.
1. ISSUES PRESENTED and CONSIDERED
The core legal questions considered by the Tribunal in this appeal are: (a) Whether the Assessing Officer (AO) was legally authorized to refer the valuation of the property as on 01.04.1981 to the District Valuation Officer (DVO) under the provisions of section 55A(a) of the Income Tax Act for the assessment year (A.Y.) 2012-13, given that the sale transaction took place prior to 01.07.2012; (b) Whether the AO erred in adopting the DVO's valuation report, which was obtained in respect of a co-owner's case, for determining the cost of acquisition of the assessee's share of ancestral property; (c) Whether the legal bar as established by the decisions of the Hon'ble Gujarat High Court and Hon'ble Bombay High Court regarding the applicability of amended section 55A(a) provisions post 01.07.2012 applies to the facts of this case; (d) Whether the learned Commissioner of Income Tax (Appeals) (CIT(A)) misconstrued facts or mixed up facts of other cases while deciding the appeal. 2. ISSUE-WISE DETAILED ANALYSIS Issue (a) & (c): Legality of AO's reference to DVO under section 55A(a) for A.Y. 2012-13 Relevant legal framework and precedents: However, the amendment applies only to transactions occurring on or after 01.07.2012. The Hon'ble Gujarat High Court in CIT vs. Gaurangiben S. Shodhan and the Hon'ble Bombay High Court in CIT vs. Pooja Prints have held that for transactions prior to 01.07.2012, the erstwhile provisions of section 55A(a) apply, which restrict the AO's power to refer valuation to DVO only if the value claimed by the assessee is less than the fair market value (FMV) in the AO's opinion. Court's interpretation and reasoning: In the present case, the assessee claimed indexed cost of acquisition based on valuation by a Government registered valuer as on 01.04.1981, which resulted in a net capital gain of Rs. 54,205/-. The AO, however, adopted a much lower value based on the DVO's report from a co-owner's case, valuing the property at Rs. 6,999/- as on 24.12.1928. The Tribunal relied on the precedents to hold that since the transaction occurred before 01.07.2012, the AO was not legally authorized to refer the valuation to the DVO unless the value claimed by the assessee was less than FMV. No such finding was recorded by the AO. Therefore, the reference to DVO was invalid. Key evidence and findings: Application of law to facts: Treatment of competing arguments: Conclusions: Issue (b): Use of DVO report obtained in co-owner's case for valuation of assessee's share Relevant legal framework and precedents: Court's interpretation and reasoning: Key evidence and findings: Application of law to facts: Treatment of competing arguments: Conclusions: Issue (d): Alleged misconstruction or mixing up of facts by CIT(A) Relevant legal framework and precedents: Court's interpretation and reasoning: Key evidence and findings: Application of law to facts: Treatment of competing arguments: Conclusions: 3. SIGNIFICANT HOLDINGS "Considering the decision of Hon'ble Gujarat High Court in CIT Vs. Gauranginiben S. Shodhan and Hon'ble Bombay High Court in CIT Vs. Pooja Prints and respectfully following the same, I hold that reference made to the DVO by
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