1985 (5) TMI 87
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....sioner relating to the assessment year 1979-80. 2. The assessee is a company which was formerly doing business in coal mining. This business was stopped as it was nationalised with effect from 1-5-1972. During the year under consideration, the assessee was receiving interest on the compensation amount receivable by it. On the other hand, it was paying interest on the overdraft amounts. The result....
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....loss did not relate to speculation business. Evidently, the said loss was not under the head 'Capital gains'. 3. Subsequently, the Commissioner scrutinised the records and came to hold the view that the profit under section 41(1) could be set off only against the loss under section 41(5). As the ITO had not applied his mind to this aspect of the question, he proposed to set aside the assessment u....
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.... Commissioner and contended that the arguments therein have been well taken and so the order deserved to be upheld. 5. We have considered the contentions of both the parties as well as the facts on record. We find that section 70(1) entitles the assessee to set off the loss under one head against the income under any other head of the same year so long as the loss did not relate to capital gains ....