*Activity of frequent buying and selling of shares over a short span of
period has to be treated as business being adventure in nature of trade and
income therefrom has to be treated as business income and not as capital
gain*

* *

   - Whether a particular holding is by way of investment or of stock in
   trade is a matter within the knowledge of the assessee and it is for the
   assessee to produce evidence from the records as to whether he maintained
   any distinction between shares held as investments and those held as stock
   in trade



   - The treatment in the books of an assessee is not conclusive and if the
   volume, frequency and regularity at which transactions are carried out
   indicate systematic and organized activity with profit motive, then it
   becomes business profit and not capital gain.

* *

*ITAT, MUMBAI BENCH ‘D’, MUMBAI*

*Rakesh J.Sanghvi*

*v.*

*DCIT*

*ITA No. 4607/MUM/2008*

*August 31, 2010*



*RELEVANT EXTRACTS:*

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We find from the assessment order that the Assessing Officer in the instant
case considered the income from purchase and sale of shares as business
income. The CIT(A) upheld the action of the Assessing  Officer by relying on
the CBDT circular No. 4 of 2007 dated 15th June, 2007. We find the CBDT vide
Circular No. 4/2007 dt. 15.6.2007 has accepted the principles laid down by
the Hon'ble Supreme Court in the cases of CIT (Central), Calcutta v/s.
Associated Industrial Development Co. (P.) Ltd., 82 ITR 586 as well as in
CIT v/s. H Holsck Larzen, 160 ITR 67 (SC). In the above referred circular,
the Board has issued certain guidelines to the A.O. The Board has accepted
that the assessee can have two portfolios simultaneously- (1) an Investment
Portfolio comprising of securities which are to be treated as a capital
asset and (2) Trading portfolio comprising of stock and trade which are to
be treated as trading asset.

We find, the legal principles as laid down by courts on account of treatment
of an income as ‘business income’ or ‘capital gain’ can be summarised as
under:

a. It is possible for an assessee to be both an investor as well as dealer
in shares.

b. Whether a transaction of sale and purchase of shares is a trading or
investment transaction is a mixed question of law and fact.

c. Whether a particular holding is by way of investment or of stock in trade
is a matter within the knowledge of the assessee and it is for the assessee
to produce evidence from the records as to whether he maintained any
distinction between shares held as investments and those held as stock in
trade.

d. The treatment in the books of an assessee is not conclusive and if the
volume, frequency and regularity at which transactions are carried out
indicate systematic and organized activity with profit motive, then it
becomes business profit and not capital gain.

e. Purchase with intention to resell can constitute capital gain or business
profit depending on circumstances like quantity of purchase and nature of
activity.

f. No single fact has any decisive significance and the question must be
answered depending upon selective effect of all relevant materials brought
on record.



>From the chart filed by the learned counsel for the assessee giving the
details of shares transacted during the year, it is seen that the shares are
held for a few day only and in very few cases for a few months but in no
case it is exceeding 200 days. Purchase of shares during the year and
selling them frequently in short period, in our opinion, do indicate that
the assessee has purchased the shares with a motive to earn profit in a
short period. Therefore, the facts of the instant case do not persuade us to
hold that the shares were held as investment since these are not held for
such a long period so as to treat the same as investment. The frequency and
volume of the transactions in the instant case give an impression that the
assessee did not intend to acquire the shares with business motive. In the
case of an investment a person usually watches the market over a longer
period of time before selling of the shares. The earning of dividend and the
appreciation of the shares is the primary consideration. It is only a trader
who would look for short term gains from purchase and sale of shares.
Therefore, the treatment given by the assessee to the said transactions in
the books of account, in our opinion, is not the only determinative factor
about the nature of the transactions. The submission of the learned counsel
for the assessee that the shares were disclosed as investment in the Balance
Sheet, in our opinion, is certainly a factor to be reckoned with but when
there are other factors or circumstances which throw some doubt on the
motive of the assessee in acquiring the shares, as in the instant case, the
entries in the books of account or Balance Sheet cannot override them and be
taken as decisive of the assessee’s intention. The submission of the learned
counsel for the assessee that in the preceding year the Assessing Officer
has accepted the long term capital loss on sale of shares and, therefore,
the same should be followed this year is also without much force since
principle of res judicata does not apply to income-tax proceedings and every
assessment is independent. When there are changes in the facts and
circumstances, the rule of consistency need not be applied. In this view of
the matter, we are of the considered opinion that the activity of frequent
buying and selling of shares over a short span of period during the impugned
year has to be treated as business being adventure in the nature of trade
and the income has to be treated as business income and not as capital gain
as claimed by the learned counsel for the assessee. Accordingly, we uphold
the order of the CIT(A) and the ground raised by the assessee is dismissed.

* *

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* *



 __._,_.___

-- 
CA.RAJESH DHIRAJLAL DESAI
"Print this mail only if absolutely necessary. Save Paper. Save Trees."

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