COMMISSIONER OF INCOME TAX versus MUGNEERAM BANGUR & CO.

COMMISSIONER OF INCOME TAX versus MUGNEERAM BANGUR & CO.

The sale in question was of the whole concern as a going concern, and no part of the slump price is attributable to the cost of land; therefore, no profit arising from this transaction is taxable as income under the Income-tax Act.

Source-derived case information.

Parties
Appellant: Commissioner of Income Tax; Respondent: Mugneeram Bangur & Co.
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal by Special Leave From Judgment and Order of the Calcutta High Court in Income Tax Reference No. 74 of 1956
Outcome
Appeal dismissed
Legal Topics
Income Tax on Sale of Business as a Going Concern, Capital Gains, Stock in Trade
Taxation Income Tax on Sale of Business as a Going Concern Capital Gains Stock in Trade

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Parties

Commissioner of Income Tax

Appellant

Mugneeram Bangur & Co.

Respondent

Procedural Posture

Civil Appeal / Appeal by Special Leave From Judgment and Order of the Calcutta High Court in Income Tax Reference No. 74 of 1956

  1. 1 Whether Rs. 2,50,000 was profit attributable to sale of land, the stock-in-trade of the assessee
  2. 2 Whether sale of the entire business concern resulted in taxable profit
  3. 3 Whether portion of slump price is attributable to cost of land sold in realisation sale

Ratio Decidendi

The sale in question was of the whole concern as a going concern, and no part of the slump price is attributable to the cost of land; therefore, no profit arising from this transaction is taxable as income under the Income-tax Act.

Court Disposition

Appeal dismissed

Orders

  • Appeal dismissed with costs
  • No part of the slump price is taxable