JUDGEMENT
HEGDE J. -
(1.) THIS appeal is directed against the decision of the High Court of Punjab and Haryana in Income-tax Reference No. 7 of 1963. The question that was
referred to the High Court for its opinion was " Did the Tribunal
misdirect itself in law in coming to the finding that the loss of Rs. 4,
80, 988 arising from the sale of shares was not deductible from the profits of the company ? " The High Court agreeing with the Tribunal came
to the conclusion that the loss in question was not a trading loss The
appellant in the case is a private limited company belonging to the
Dalmia group of companies. The assessment year with which we are
concerned is 1952-53, the relevant previous year ending on December 31,
1951. In the relevant accounting year the assessee incurred a loss, of Rs. 4, 80, 988 as a result of the sale of preference shares held by it in
the Rohtas Industries Ltd. which is also a company belonging to the
Dalmia group
(2.) THE question whether a particular loos is a trading loss or not, is not an easy one to decide. That question has to be determined on the facts
and circumstances of each case. Normally, the finding of the Tribunal on
this question being essentially a finding of fact is not disturbed unless
it is shown that the Tribunal has taken into consideration irrelevant
circumstances or failed to take into consideration the relevant
circumstances. It is not said in this case that the Tribunal has taken
into consideration any irrelevant circumstance or that it has failed to
take into consideration any relevant circumstance
The main activity of the company was of manufacturing biscuits. Though its memorandum permitted the company to deal in shares, the only occasion
on which it dealt with shares is the one with which we are concerned in
this case. The shares were purchased by the assessee from a sister
concern when that concern expanded its activities. The shares purchased
were preferential shares. The Tribunal has come to the conclusion that in
view of the fact that the shares purchased were preference shares
carrying a fixed rate of dividend and, therefore, not likely to
appreciate in value, that the purchase was not made in open market but
was made at the initial expansion of the Rohtas Industries Ltd., that the
two companies were interlinked in the sense that they were dominated by
the same group of directors and that it was a solitary instance in the
history of the company of purchasing of shares, the activity was not a
trading activity but it was merely an investment. This finding is not
vitiated in any mannerIn the result this appeal fails and the same is
dismissed with costs
Appeal dismissed.;
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