COMMISSIONER OF INCOME TAX, NAGPUR versus SUTLEJ COTTON MILLS SUPPLY AGENCY LTD.

COMMISSIONER OF INCOME TAX, NAGPUR versus SUTLEJ COTTON MILLS SUPPLY AGENCY LTD.

Tribunal found, after considering all relevant circumstances, that the dominant intention of the assessee was to make profit by resale of shares and not to make an investment; thus, the profit is assessable as business profit.

Source-derived case information.

Parties
Appellant: Commissioner of Income Tax, Nagpur; Respondent: Sutlej Cotton Mills Supply Agency Ltd.
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal From Judgment of Madhya Pradesh High Court in Reference Under S. 66(1) of Indian Income Tax Act
Outcome
Appeal allowed; judgment of High Court reversed.
Legal Topics
Business Profit Versus Capital Gain, Adventure in the Nature of Trade, Jurisdiction of High Court on Reference
Income Tax Business Profit Versus Capital Gain Adventure in the Nature of Trade Jurisdiction of High Court on Reference

Source-derived case record

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Parties

Commissioner of Income Tax, Nagpur

Appellant

Sutlej Cotton Mills Supply Agency Ltd.

Respondent

Procedural Posture

Civil Appeal / Appeal From Judgment of Madhya Pradesh High Court in Reference Under S. 66(1) of Indian Income Tax Act

  1. 1 Whether the profit arising from sale of shares is assessable as business profit
  2. 2 What tests determine if a transaction is an adventure in the nature of business

Ratio Decidendi

Tribunal found, after considering all relevant circumstances, that the dominant intention of the assessee was to make profit by resale of shares and not to make an investment; thus, the profit is assessable as business profit.

Court Disposition

Appeal allowed; judgment of High Court reversed.

Orders

  • Profit of Rs. 2,13,150 from sale of shares is assessable as business profit.
  • Appellant awarded costs.