Saturday, January 14, 2012

20% Tax Rate on Transfer of Depreciable Asset As LTCG Not Allowed - ACIT Vs. SKF Bearings India Ltd. (ITAT Mumbai)

ACIT Vs. SKF Bearings India Ltd. (ITAT Mumbai) -  Sections 54EC and 74 refer to capital gain arising from the transfer of a long term capital asset and not with respect to a short term capital asset. Further, section 112(1 )(b)(i) and (ii) specifically refers to only long term capital gains. Hence, where section 50 by a legal fiction, deems the income earned from a depreciable asset as short term capital gain, applying the tax rate specified for long term capital gains in section 112(1) would not arise. On a plain reading of section 50, the excess shall be deemed to be the capital gains arising from the transfer of a short term capital asset. The beneficial rate of tax @ 20% would not be applicable to capital gains arising on transfer of depreciable asset even though the asset was held for more than thirty-six months.


Refer :-  Document

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