COMMISSIONER OF INCOMETAX, ANDHRA PRADESH versus THE COCANADA BANK LTD. KAKINADA

COMMISSIONER OF INCOMETAX, ANDHRA PRADESH versus THE COCANADA BANK LTD. KAKINADA

If securities form part of trading assets and income from them is the income of the business, section 24(2) of the Income-tax Act, 1922 applies; losses from such business may be set-off in succeeding years against income including interest on those securities. The classification into heads is computational and does...

Source-derived case information.

Parties
Appellant: Commissioner of Income-tax, Andhra Pradesh; Respondent: The Cocanada Bank Ltd. Kakinada
Jurisdiction
India
Procedural Posture
Civil Appeals by Special Leave / Final Judgment on Appeal From Andhra Pradesh High Court
Outcome
Appeals dismissed
Legal Topics
Carry Forward of Business Losses, Set Off Against Income From Securities, Interpretation of Income Tax Act, 1922 Section 24(2)
Income Tax Carry Forward of Business Losses Set Off Against Income From Securities Interpretation of Income Tax Act, 1922 Section 24(2)

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Parties

Commissioner of Income-tax, Andhra Pradesh

Appellant

The Cocanada Bank Ltd. Kakinada

Respondent

Procedural Posture

Civil Appeals by Special Leave / Final Judgment on Appeal From Andhra Pradesh High Court

  1. 1 Whether business loss brought forward can be set-off against income under the head 'interest on securities' if the securities are part of trading assets
  2. 2 Interpretation of sections 8, 10, and 24(2) of the Income-tax Act, 1922 regarding mutually exclusive heads and set-off procedure

Ratio Decidendi

If securities form part of trading assets and income from them is the income of the business, section 24(2) of the Income-tax Act, 1922 applies; losses from such business may be set-off in succeeding years against income including interest on those securities. The classification into heads is computational and does not restrict set-off where the business connection exists.

Court Disposition

Appeals dismissed

Orders

  • High Court's answer in favour of assessee affirmed
  • One hearing fee awarded to respondent