COURT: | |
CORAM: | |
SECTION(S): | |
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COUNSEL: | |
DATE: | (Date of pronouncement) |
DATE: | November 26, 2010 (Date of publication) |
AY: | |
FILE: | Click here to view full post with file download link |
CITATION: | |
While volume of transactions is an important indicator of the intention of the assessee whether to deal in shares as trading asset or to hold the shares as investor, it is certainly not the sole criterion. The AO’s conclusion that since sale and purchase had been determined by the volatility in the market, the same is against the basic feature of investor is not based on sound rational reasoning. A prudent investor always keeps a watch on the market trends and, therefore, is not barred under law from liquidating his investments in shares. The law itself has recognized this fact by taxing these transactions under the head “Short Term Capital Gains”. If the AO’s reasoning is accepted, then it would be against the legislative intent itself
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