UNITED COMMERCIAL BANK, CALCUTTA versus COMMISSIONER OF INCOME TAX, WEST BENGAL-III CALCUTTA.

UNITED COMMERCIAL BANK, CALCUTTA versus COMMISSIONER OF INCOME TAX, WEST BENGAL-III CALCUTTA.

A method of accounting adopted consistently and regularly by the assessee for valuing stock-in-trade (investments) at cost or market value whichever is lower for income tax purposes, though statutory balance sheet shows value at cost, cannot be discarded by tax authorities. It is permissible to claim real income on...

Source-derived case information.

Parties
Appellant: UNITED COMMERCIAL BANK, CALCUTTA; Respondent: COMMISSIONER OF INCOME TAX, WEST BENGAL-III CALCUTTA; Intervenor: United Bank of India
Jurisdiction
India
Procedural Posture
Civil Appeal / Final Judgment on Appeal From High Court Decision
Outcome
Appeal allowed
Legal Topics
Stock in Trade Valuation, Method of Accounting, Consistent Practice, Statutory Balance Sheet Requirements, Real Income Concept
Income Tax Banking Law Stock in Trade Valuation Method of Accounting Consistent Practice Statutory Balance Sheet Requirements Real Income Concept

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Parties

UNITED COMMERCIAL BANK, CALCUTTA

Appellant

COMMISSIONER OF INCOME TAX, WEST BENGAL-III CALCUTTA

Respondent

United Bank of India

Intervenor

Procedural Posture

Civil Appeal / Final Judgment on Appeal From High Court Decision

  1. 1 Whether a nationalised bank can claim notional loss for income tax purposes by valuing closing stock of securities at market value when statutory balance sheet shows value at cost
  2. 2 Whether consistent method of valuation adopted for income tax purposes can be discarded by Department because of different treatment in statutory accounts

Ratio Decidendi

A method of accounting adopted consistently and regularly by the assessee for valuing stock-in-trade (investments) at cost or market value whichever is lower for income tax purposes, though statutory balance sheet shows value at cost, cannot be discarded by tax authorities. It is permissible to claim real income on that basis and entries in the statutory balance sheet need not be conclusive for income tax computation.

Court Disposition

Appeal allowed

Orders

  • Impugned order of High Court set aside
  • Questions referred by Tribunal answered in favour of assessee and against revenue