COURT: | ITAT Mumbai |
CORAM: | N. K. Pradhan (AM), Saktijit Dey (JM) |
SECTION(S): | 45, 48 |
GENRE: | Domestic Tax |
CATCH WORDS: | capital gains, PMS, Portfolio Management Services |
COUNSEL: | Anil Thakrar |
DATE: | May 30, 2018 (Date of pronouncement) |
DATE: | July 7, 2018 (Date of publication) |
AY: | 2010-11 |
FILE: | Click here to view full post with file download link |
CITATION: | |
S. 45/ 48: Portfolio Management Scheme (PMS) fees paid by the assessee to the PMS Manager neither falls under the category of transfer fees nor cost of acquisition/improvement. Consequently it is not deductible while computing capital gains from sale of the shares (All judgements referred) |
In the instant case, the deduction on account of fees paid for PMS had been claimed by the assessee as deduction in computing capital gains arising from sale of shares and securities. He however had failed to explain as to how the said fees could be considered as cost of acquisition of the shares and securities or the cost of any improvement thereto. He had also failed to explain as to how the said fees could be treated as expenditure incurred wholly and exclusively in connection with sale of shares and securities. On the other hand, the basis on which the said fees was paid by the assessee showed that it had no direct nexus with the purchase and sale of shares and as rightly contended by the revenue, the said fees was payable by the assessee going by the basis thereof even without there being any purchase or sale of shares in a particular period
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