CIT vs. Kan
Construction And Colonizers (P) Ltd (Allahabad High Court)
The assessee sold a plot of land for Rs. 79 lakhs. The AO held that the said
plot was a capital asset and that the gains had to be computed in accordance
with s. 50C. The CIT (A) & Tribunal upheld the assessee’s claim that as the
said plot was held as stock-in-trade, s. 50C did not apply. On appeal by the
department to the High Court, HELD dismissing the appeal:
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