MESSRS. ASSOCIATED CLOTHIERS LTD. versus COMMISSIONER OF INCOME-TAX, CALCUTTA

MESSRS. ASSOCIATED CLOTHIERS LTD. versus COMMISSIONER OF INCOME-TAX, CALCUTTA

The sale of assets by Messrs. Associated Clothiers Ltd. to Messrs. Phelps & Co. Ltd. was a true sale for stated consideration, not merely a readjustment, and since consideration exceeded original cost, the difference between original cost and written down value is profit under s. 10(2)(vii) second proviso and thus...

Source-derived case information.

Parties
Appellant: Messrs. Associated Clothiers Ltd.; Respondent: Commissioner of Income-tax, Calcutta; Respondent: A. N. Kripal; Respondent: R. N. Sachthey
Jurisdiction
India
Procedural Posture
Civil Appeal / Supreme Court Appeal After Calcutta High Court Decision
Outcome
appeal dismissed
Legal Topics
Taxation of Asset Sale, Corporate Personality, Profit Computation Under S. 10(2)(vii)
Income Tax Corporate Law Taxation of Asset Sale Corporate Personality Profit Computation Under S. 10(2)(vii)

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Legal principles 4 Authorities cited 11 Party arguments 2 Amounts and remedies 6
Sign in to unlock

Parties

Messrs. Associated Clothiers Ltd.

Appellant

Commissioner of Income-tax, Calcutta

Respondent

A. N. Kripal

Respondent

R. N. Sachthey

Respondent

Procedural Posture

Civil Appeal / Supreme Court Appeal After Calcutta High Court Decision

  1. 1 Whether sale of assets by one company to another can be treated as 'in substance to self' and s. 10(2)(vii) of Indian Income-tax Act, 1922 is inapplicable
  2. 2 Whether the sale resulted in taxable profit under s. 10(2)(vii) second proviso

Ratio Decidendi

The sale of assets by Messrs. Associated Clothiers Ltd. to Messrs. Phelps & Co. Ltd. was a true sale for stated consideration, not merely a readjustment, and since consideration exceeded original cost, the difference between original cost and written down value is profit under s. 10(2)(vii) second proviso and thus taxable.

Court Disposition

appeal dismissed

Orders

  • appeal fails
  • appellant to pay costs