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        Case ID :

        2017 (11) TMI 1211 - AT - Income Tax

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        Family settlement not taxable as capital gains under genuine self-generated possessory rights The Tribunal allowed the appeal of the assessee, ruling that the amount received under the family settlement did not amount to a transfer of a capital ...
                      Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

                          Family settlement not taxable as capital gains under genuine self-generated possessory rights

                          The Tribunal allowed the appeal of the assessee, ruling that the amount received under the family settlement did not amount to a transfer of a capital asset and was not taxable under capital gains. The Tribunal emphasized the genuine nature of the family settlement, stating that the possessory rights were self-generated and not subject to taxation due to the absence of tenancy or rental agreements.




                          Issues Involved
                          1. Validity of reopening the assessment under sections 147/148.
                          2. Treatment of family settlement under the definition of "transfer" as per section 2(47).
                          3. Classification of Rs. 1,36,00,000 received for possessory/occupancy rights as capital gains.
                          4. Granting indexed cost of acquisition as a deduction while computing taxable capital gains.

                          Detailed Analysis

                          1. Validity of Reopening the Assessment under Sections 147/148
                          The assessee contested the reopening of the assessment, arguing that the notice under section 148 and the proceedings under section 147 were flawed due to inherent technical defects. The CIT(A) upheld the validity of the reopening. The Tribunal did not find any merit in the assessee's argument against the reopening of the assessment.

                          2. Treatment of Family Settlement under the Definition of "Transfer" as per Section 2(47)
                          The assessee argued that the family settlement did not amount to a "transfer" as defined under section 2(47) of the Income Tax Act. The family settlement was intended to resolve disputes and maintain family reputation without resorting to legal action. The Tribunal observed that the family settlement deed was genuine and recognized by the Assessing Officer. It was concluded that the assessee relinquished her possessory rights over the flat as part of the family settlement, which does not constitute a transfer of a capital asset. The Tribunal cited precedents, including the Hon'ble Supreme Court and various High Courts, to support the view that family arrangements do not amount to a transfer of a capital asset.

                          3. Classification of Rs. 1,36,00,000 Received for Possessory/Occupancy Rights as Capital Gains
                          The CIT(A) and the Assessing Officer classified the amount received for possessory/occupancy rights as capital gains. The Tribunal, however, held that the possessory rights over the flat were not equivalent to tenancy rights and were not acquired through any tenancy agreement or rent payment. The Tribunal referred to the case of CIT v. M. Appukutty, where it was held that amounts received for transferring possessory rights are not chargeable to tax as capital gains. The Tribunal also noted that the assessee's father had adverse possession of the property since 1972, and no cost of acquisition could be attributed to such possession.

                          4. Granting Indexed Cost of Acquisition as a Deduction while Computing Taxable Capital Gains
                          The assessee argued that if the possessory/occupancy rights are considered to have a cost, the indexed cost of acquisition should be allowed as a deduction. The Tribunal, however, concluded that since the possessory rights were not considered a capital asset transfer, the question of indexed cost of acquisition did not arise.

                          Conclusion
                          The Tribunal allowed the appeal of the assessee, concluding that the amount received under the family settlement did not constitute a transfer of a capital asset and thus was not chargeable to tax under the head of capital gains. The Tribunal emphasized the genuine nature of the family settlement and the lack of tenancy or rental agreements, supporting the view that the possessory rights were self-generated and not taxable.
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                          ActsIncome Tax
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