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2012 (9) TMI 787 - AT - Income Tax


Issues Involved:
1. Classification of income from sale of shares as either "business income" or "short term capital gain."
2. Consistency in the treatment of income in subsequent assessment years.

Detailed Analysis:

1. Classification of Income from Sale of Shares:

*Facts and Arguments:*
- The assessee, a member of the Sukhwani Group, was subject to a search under section 132 of the Income Tax Act on 14-06-2006.
- The assessee declared a profit of Rs. 9,82,738/- from the sale of shares as "Short term capital gain" in the return filed in response to the notice under section 153A.
- The Assessing Officer (AO) observed frequent transactions in shares during the year and questioned why these should not be treated as "business income."
- The assessee argued that she had always been an investor in shares and had sold some investments, offering the profits as capital gains based on the holding period.
- The AO was not convinced, noting significant frequency and volume of transactions, and concluded that the transactions were trading activities aimed at earning profits, thus treating the income as "business income."

*Findings and Judgments:*
- The CIT(A) upheld the AO's decision, emphasizing the magnitude and frequency of transactions, suggesting a systematic activity aimed at profit-making.
- The assessee contended that the shares were held as investments, reflected as such in the balance sheet, and that no borrowed funds were used for these investments.
- The assessee also highlighted that the transactions were few (58 in total), and there was no business infrastructure supporting trading activities.
- The Tribunal noted that the shares were shown as investments in the balance sheet, and profits from similar transactions had been accepted as capital gains in the past.
- It was observed that the assessee had held shares for substantial periods before selling, and the transactions were conducted through the Demat account with Security Transaction Tax (STT) paid.
- The Tribunal found no reason to treat the profits as "business income," especially when part of the profits was accepted as "Long term capital gain."

*Conclusion:*
- The Tribunal concluded that the profits from the sale of shares should be treated as "Short term capital gain" rather than "business income."
- The order of the CIT(A) was set aside, and the AO was directed to treat the profit as "Short term capital gain."

2. Consistency in the Treatment of Income:

*Facts and Arguments:*
- The assessee argued for consistency in the treatment of income, referencing past acceptance of similar transactions as capital gains.
- The CIT(A) and AO had treated part of the profits as "Long term capital gain" while treating the rest as "business income."

*Findings and Judgments:*
- The Tribunal emphasized the principle of consistency, citing the Hon'ble Bombay High Court's decision in CIT Vs. Gopal Purohit (336 ITR 287), which supported maintaining consistent treatment of similar transactions over different assessment years.

*Conclusion:*
- The Tribunal applied the rule of consistency, directing that the profit on the sale of shares should be treated as "Short term capital gain" in line with past assessments.

Final Judgment:
- The appeals filed by the assessee for both assessment years (2006-07 and 2007-08) were allowed.
- The Tribunal directed the AO to treat the profits from the sale of shares as "Short term capital gain" in both assessment years, ensuring consistency with past treatment.

 

 

 

 

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