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2020 (1) TMI 1633 - AT - Income Tax


Issues Involved:
1. Deletion of addition on account of difference between the value of shares and cost of shares upon conversion from stock-in-trade to investment.
2. Disallowance under Section 14A of the Income Tax Act, 1961.

Detailed Analysis:

1. Deletion of Addition on Account of Difference in Share Values:

The primary issue was whether the difference between the market value of shares and their cost on conversion from stock-in-trade to investment should be treated as business income. The assessee had converted shares of three companies from stock-in-trade to investment by a book entry at their cost price. The Assessing Officer (AO) argued that this conversion was a deliberate attempt to convert taxable business profit into tax-free long-term capital gains. The AO added the difference between the market value and cost of shares as business income.

The assessee contended that there was no provision in the Income Tax Act to tax such notional income and that the shares were erroneously classified under stock-in-trade in earlier years. The CIT(A) agreed with the assessee, stating that mere conversion does not result in real income and referred to various judicial precedents, including the Supreme Court's decision in Sir Kikabhai Premchand vs. CIT, which held that withdrawal of stock-in-trade for non-business purposes does not result in income.

The Tribunal upheld the CIT(A)'s decision, emphasizing that there was no real income as the shares were neither sold nor transferred during the year. The Tribunal also noted the absence of a specific provision in the Act to tax such conversion during the relevant period.

2. Disallowance under Section 14A of the Income Tax Act:

The AO disallowed Rs. 3,56,96,487 under Section 14A, applying Rule 8D of the Income Tax Rules, 1962. The CIT(A) restricted this disallowance to Rs. 7,04,000, agreeing with the assessee that no disallowance was required for indirect expenses as the assessee had already disallowed Rs. 1,77,79,925 under Rule 8D(2)(i) for direct interest expenses.

The Tribunal upheld the CIT(A)'s finding that no further disallowance under Rule 8D(2)(ii) was required as the assessee had followed the direct nexus method. However, the Tribunal restricted the disallowance under Rule 8D(2)(iii) to the exempt income earned by the assessee, following the Delhi High Court's decision in Joint Investment Pvt. Ltd. vs. CIT, which held that disallowance under Section 14A should not exceed the exempt income.

Conclusion:

- The Tribunal upheld the deletion of the addition of Rs. 14,19,57,154 on account of the difference between the market value and cost of shares upon conversion from stock-in-trade to investment.
- The Tribunal restricted the disallowance under Section 14A to the exempt income earned by the assessee, i.e., Rs. 10,35,890, following the principle that disallowance should not exceed the exempt income.

Final Order:
The appeal of the Revenue and the cross-objection of the assessee were both partly allowed.

 

 

 

 

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