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Capital Gains- Important Updates & Sections 43CA and 56(2)(vii)(b) Saturday 6 th February 2016 Income Tax Bar Association Raipur PRADIP N. KAPASI1
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SYNOPSIS Period of Holding – s.2(42A) Deemed consideration for an asset– s.43CA Insurance Receipts – S.45(1A) Development Agreement- s.45 Conversion into stock-in-trade– s.45(2) Introduction of capital asset in a firm– s.45(3) Distribution on dissolution- s.45(4) Retirement – s.45 & s.45(4) Joint Ventures- Co-Development- s.45 & s.28 Family settlement Corporatisation- s. 47(xiii) & (xiv) Depreciable Asset- s.50 Stamp Duty Valuation- s.50C Forfeiture of Advance- s.51 Substitution of FMV- s. 55 Deemed Income- s.56(2)(vii)(b) Few for the Road PRADIP N. KAPASI2
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PERIOD OF HOLDING- s.2(42A) Held for not more that 36 months ‘Month’ and ‘British calendar month’ Immediately ‘preceding the date of transfer’ Date of acquisition for s.54/54F Allotment – Agreement – Possession – Sale Deed D ate of DA/ Possession for landowner Agreement with Developer PRADIP N. KAPASI3
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DEEMED CONSIDERATION FOR AN ASSET - s. 43CA- I Introduction w.e.f. A.Y. 2014-15 Provision similar to s. 50C Thiruvendagum Investments, 320 ITR 345 (Mad.) All assessees For computation of business income Provision for substituting consideration Received or Accruing Transfer of an asset Land or building or both (anywhere in India) Not a capital asset Agricultural Land PRADIP N. KAPASI4
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DEEMED CONSIDERATION FOR AN ASSET - s. 43CA- II Where consideration is less than Stamp Duty Value Stamp Duty Value to be deemed FVC No exception for marginal cases Provisions of s. 50C(2) and (3) to apply Reference to DVO Stamp Duty Value as on date of agreement Where value is different on date of registration of transfer Where receipt by mode other than cash PRADIP N. KAPASI5
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DEEMED CONSIDERATION FOR AN ASSET - s. 43CA- III Double Taxation –S.43CA and S. 56(2)(vii)(b) Charging or Computation provision ‘Transfer’ of an asset TOPA- 2(47)- 145- MOA- ICAI Year of Taxation Agreement? – Allotment – Possession - FSA ‘Land or building or both’ Union Territory ‘Accruing’ as a result of transfer Value adopted for stamp duty ‘for transfer’ Concept of ‘Full Value of Consideration’ in Business Income PRADIP N. KAPASI6
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DEEMED CONSIDERATION FOR AN ASSET - s. 43CA - IV Applicability of TP provisions Other issues of s. 50C Date of agreement and ‘registration of transfer’ Prospective and/or Retroactive Possibilities for transactions up to 31.03.2013 Transfer & Income recognized – Post amendment Transfer Post amendment - income recognized before Receipt before amendment Partial income recognized Partial income to be recognized PRADIP N. KAPASI7
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DEEMED CONSIDERATION FOR AN ASSET - s. 43CA – VI A Non- Starter? Registration of same agreement. SDV & AV conflict Recognition of Agreement in past Partial and/or full. Applicability to Settlement of Accounts. PRADIP N. KAPASI8
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INSURANCE RECEIPTS- s.45(1A) Year of chargeability Loss of asset or finalization of claim or receipt Receipt for damages Whether a transfer? Period of holding Effect on WDV- s.43(6)(C)(i)(d) ‘destroy’- ‘monies payable’ Treatment of expenditure of repairs and premium Head of Taxation Applicability of s.50 for insurance receipts Cir No. 779 dt. 14.09.1991 – para 27 Claim of loss for non-depreciable asset and its year Unspecified insurance claim Applicability of s.50C PRADIP N. KAPASI9
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DEVELOPMENT AGREEMENT - s.45 - I Facts in Chatrbhuj Dwarkadas’case Possession not given – license not given Payment not received General Power not given Tenants not settled Plans not approved NOC under Income tax not obtained CRZ restrictions not removed Clearances and permissions not obtained PRADIP N. KAPASI10
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DEVELOPMENT AGREEMENT - s.45 - II Findings in Chaturbhuj Dwarkadas’ case Arrangement conferring privileges of ownership Passing or transferring complete control Substantial performance - a non relevant Payment and permission not relevant factors Limited POA is significant even an agreement to grant is sufficient Irrevocable license relevant Actual possession and irrevocable license not relevant Disguised agreement for sale Year of execution of contract is year of transfer Objective behind introduction of clause(v) of s. 2(47) Guideline for Income tax Department DA is not a transfer under general law 11 Pradip N. Kapasi
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Ingredients of part performance u/s 53A Agreement for transfer of an immovable property Written instrument for a consideration Possession Willingness to perform Reconsideration of decision Possibility to be examined DTC provision for year of taxation Is ‘License’ a ‘possession’ Future possession satisfies s.2(47)(v) Diff. b/w Agreement for sale and Development Agreement PRADIP N. KAPASI12 DEVELOPMENT AGREEMENT - s.45 - III
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CONVERSION IN TO STOCK-IN-TRADE- s.45(2) - I Year of computation & chargeability Set-off of losses against s.45(2) gains of earlier year Carry backward of losses Carry forward of profits Taxability on ‘sold’ or ‘otherwise transferred’ Development Agreement Flat Sale Agreements Introduction in firm Power of Attorney Sold or otherwise transferred by ‘him’ Applicability of s.50C Eligibility for reinvestment related exemptions S.54 to s.54GB Period of reinvestment Cir. No. 560 (18.05.1990) and 791 (02.06.2000) 13
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CONVERSION IN TO STOCK-IN-TRADE- s.45(2)-II Proofs of conversion Presumption of conversion Cut-off date Year of Accounting- MAT Exemption u/s 10(38) for LTCG on conversion or s.111A Need for STT payment Need for existence of business Cost of stock-in-trade PRADIP N. KAPASI14
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INTRODUCTION OF CAPITAL ASSET IN A FIRM- s.45(3) Introduction value and LLP Year of taxation Transfer by firm in the same year Applicability to introduction of stock-in-trade Applicability of s.50C & s.56(2)(vii) Applicability to AOP and BOI Cost of acquisition of firm Period of holding for firm PRADIP N. KAPASI15
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DISTRIBUTION ON DISSOLUTION- s.45(4) Year of taxation Dissolution or distribution Entity for taxation Firm, partner, AOP or BOI Dissolution or ‘otherwise’ Admission – Retirement - Withdrawal Change in constitution Applicability of s.50 & s.50C Possibility of exemption u/s 47(xiii) or (xiiib) COA in the hands of recipient Payment in kind to a retiring partner PRADIP N. KAPASI16
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RETIREMENT – s.45 & 45(4) Taxability of receipt on retirement Lump sum payment on assignment Lump sum payment without assignment Payment of share in surplus Finality of Supreme Court’s decision Emerging position Applicability of s.45(4) Distribution of assets and payment PRADIP N. KAPASI17
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JOINT VENTURE– CO-DEVELOPMENT – s. 45 & s.28 Status- AOP or not Arm’s Length Transactions Landowner and Builder Developer and Builder PRADIP N. KAPASI18
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FAMILY SETTLEMENT Transfer u/s 2(47) and family arrangement Requisites of a family arrangement Existence of ‘Family’ Blood relation or not Hindu or not Joint in food and worship Collective efforts Common engagement Dispute Related/affected party’s involvement Implications for affected party Cost of acquisition of shares transferred Original shares Additional Shares PRADIP N. KAPASI19
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CORPORATISATION- s.47(xiii) & (xiv) Revaluation of Assets by Firm Continuity of Bank Account Delay in allotment Current Account to a loan Benefit to erstwhile partners Commission or salary or interest Transfer of firm to a company - generally PRADIP N. KAPASI20
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DEPRECIABLE ASSET- s.50 Purchase or payment during the year Destruction of Asset Extinguishment of block of asset Reinvestment in s.54EC Bonds PRADIP N. KAPASI21
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STAMP DUTY VALUATION- s.50C Reinvestment of actual capital gains Rights in building under construction Tenancy rights and lease Transfer of shares of company Contest before SDVA/AO Necessity of notice by AO Margin of Error Parallel application of s.50C Need for Application to AO Margin of Error Penalty Non receipt of DVO’s order PRADIP N. KAPASI22
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FORFEITURE OF ADVANCE – s.51 - I Proviso inserted w.e.f A.Y. 2015-16 Simultaneous Amendment in s.2(24) & s.56(2)(ix) Present Position- not an income Travancore Rubber & Tea Co. Ltd., 243 ITR 158 (SC) Effect on COA as per s.51 COA not to be reduced where taxed u/s 56(2)(ix) Allowance of expenditure incurred Higher rate of taxation Year of taxation- Receipt- Forfeiture- No transfer certainty Tax under the head ‘Income from Other Sources ’. PRADIP N. KAPASI23
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FORFEITURE OF ADVANCE- s.51 - II ‘Forfeiture’ of ‘any sum of money’ Receipt in kind Waiver ‘Received as an ‘advance’ or ‘otherwise’ In the course of negotiation’ For ‘transfer’ of a ‘capital asset’ Negotiations do not result in transfer Same person PRADIP N. KAPASI24
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SUBSTITUTION OF FMV – s.55 FMV of the asset transferred FMV of the asset in existence on 01.04.1981 Transformation of asset in the intervening period Value addition in intervening period Statutory changes PRADIP N. KAPASI25
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DEEMED INCOME -s. 56(2)(vii)(b)- I W.e.f. A.Y. 2014-15 for Individual & HUF Introduced and was deleted w.e.f. 01.10.2009 Receipt of any immovable property Land or building or both For inadequate consideration Difference between SDV and consideration received Provisions for adopting SDV on date of agreement Difference to be income if exceeds Rs. 50,000/- Reference to DVO by A.O. possible Cost of Acquisition as per s. 49(4)- where taxes paid Agricultural land Applicability to a Builder/Developer PRADIP N. KAPASI26
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DEEMED INCOME- s. 56(2)(vii)(b)- II Double Taxation Stamp duty by seller Indexation of COA Purchase from a ‘relative’ Post dated cheques not realised Implication of s. 49(4) in case of ‘relatives’ Land & Building Union Territory PRADIP N. KAPASI27
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FEW FOR THE ROAD Allotments/Payments before 1 year of transfer & 54/54F Acquisition of tenancy right and s.54/54F Payment of Advance and Purchase for s.54/s.54F Set-off of LTCL on sale of listed STT paid shares Rate of taxation on deemed STCG u/s 50 ‘Derivatives’ and capital assets Set-off where capital assets liable tax at different rates PRADIP N. KAPASI28
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THANK YOU & GOOD LUCK PRADIP N. KAPASI29
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