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        <h1>Ruling on Capital Gains & Exemption Eligibility Remanded for Reassessment</h1> The tribunal directed the Assessing Officer to determine the nature of capital gains from the sale of shares received on debenture conversion based on the ... - Issues:1. Treatment of capital gains on the sale of shares received on conversion of debentures as long-term or short-term capital gains.2. Eligibility for exemption under section 54E.3. Challenge against levy of interest under section 234B.Analysis:1. The main issue in this case revolves around determining whether the capital gains derived from the sale of shares received on the conversion of fully/partly convertible debentures should be considered as long-term or short-term capital gains. The appellant argued that the provisions of section 47(x) of the Income Tax Act, which exclude the conversion of debentures into shares from being treated as a transfer for capital gains computation, should apply. Additionally, section 49(2A) states that the cost of acquisition of shares received on conversion of debentures should be deemed as the cost of the debentures. The appellant contended that the date of acquisition of the debentures should be considered for determining the nature of capital gains. The tribunal agreed with this interpretation, directing the Assessing Officer to decide the gain's nature based on the acquisition date of the debentures. The order denying exemption under section 54E and the levy of interest under section 234B were set aside for reconsideration.2. Regarding the eligibility for exemption under section 54E, the appellant claimed that the surplus realized from the sale of shares should be exempt from capital gains tax due to investments made in specified assets. The appellant argued that the conversion of debentures into shares is not considered a transfer, and the cost of acquisition should be based on the debentures' cost. The tribunal's decision to remand the matter to the Assessing Officer for reconsideration implies that the eligibility for exemption under section 54E will be reassessed based on the revised determination of capital gains nature.3. The appellant also challenged the levy of interest under section 234B. The tribunal set aside the order related to the interest levy, instructing the Assessing Officer to reconsider the interest imposition after reviewing the revised assessments based on the determination of capital gains nature and exemption eligibility under section 54E. This decision indicates that the issue of interest levy will be reevaluated in light of the revised assessment outcomes.In conclusion, the tribunal's judgment focused on clarifying the treatment of capital gains on the sale of shares received on debenture conversion, the eligibility for exemption under section 54E, and the challenge against the interest levy under section 234B. The case was remanded to the Assessing Officer for reassessment based on the tribunal's findings and in accordance with the provisions of the Income Tax Act.

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