COMMISSIONER OF INCOME TAX GUJARAT III, AHMEDABAD & ANOTHER versus KURJI JINABHAI KOTECHA

COMMISSIONER OF INCOME TAX GUJARAT III, AHMEDABAD & ANOTHER versus KURJI JINABHAI KOTECHA

Losses incurred in illegal forward contracts cannot be set off against other profits for the same year nor carried forward to subsequent years, as law does not permit the perpetuation or recognition of benefits from illegal business under sections 24(1) and 24(2) of the Income Tax Act, 1922; only losses from lawful...

Source-derived case information.

Parties
Appellant: Commissioner of Income Tax Gujarat III, Ahmedabad & Another; Respondent: Kurji Jinabhai Kotecha
Jurisdiction
India
Procedural Posture
Civil Appeal / Judgment on Appeal From Gujarat High Court (income Tax Reference No. 9/68 Decided 8 9 1970)
Outcome
appeal allowed
Legal Topics
Set Off and Carry Forward of Loss, Speculative Transactions, Illegal Business, Forward Contracts
Income Tax Law Set Off and Carry Forward of Loss Speculative Transactions Illegal Business Forward Contracts

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Parties

Commissioner of Income Tax Gujarat III, Ahmedabad & Another

Appellant

Kurji Jinabhai Kotecha

Respondent

Procedural Posture

Civil Appeal / Judgment on Appeal From Gujarat High Court (income Tax Reference No. 9/68 Decided 8 9 1970)

  1. 1 Whether losses from illegal business can be set off against profits from legal business under section 24(1) of the Income Tax Act, 1922
  2. 2 Whether losses arising from illegal business can be carried forward under section 24(2) of the Income Tax Act, 1922

Ratio Decidendi

Losses incurred in illegal forward contracts cannot be set off against other profits for the same year nor carried forward to subsequent years, as law does not permit the perpetuation or recognition of benefits from illegal business under sections 24(1) and 24(2) of the Income Tax Act, 1922; only losses from lawful business may be carried forward or set off.

Court Disposition

appeal allowed

Orders

  • Judgment of the Gujarat High Court is set aside.
  • The two questions referred are answered in the negative and in favour of the Department.