Commissioner Of Income Tax vs Mugneeram Bangur & Co. (Land Department)
In this landmark Supreme Court judgment, the Court established crucial principles for taxation of slump sales. When a business is transferred as a going concern for a composite price without allocation to specific assets, any surplus represents capital appreciation, not taxable business profit. The Court rejected the Revenue’s attempt to attribute part of the consideration to stock-in-trade (land) merely based on schedule entries, emphasizing the need for actual evidence of asset-specific valuation in slump transactions. This judgment provides important guidance for distinguishing between capital receipts and revenue receipts in business transfers.
Commissioner Of Income Tax vs Mugneeram Bangur & Co. (Land Department) View Full Article »
