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Court : Gujarat
Reported in : [1995]214ITR453(Guj)
Rajesh Balia, J.1. This petition is preferred by the Gujarat Tractor Corporation Ltd. The petitioner is a Government company, Hindustan Tractors Ltd., and was taken over by the Central Government under the provisions of the Hindustan Tractors Ltd. (Acquisition and Transfer of Undertakings) Act, 1978. With effect from the appointed day, i.e., April 1, 1978, the undertaking of the company, namely, the Hindustan Tractors Ltd., and its right, title and interest in relation to its undertakings stood transferred and vested in the Central Government under section 3 of the Act. As per the provisions of section 4 of the Act, the whole assets, rights, leaseholds, powers, authorities and privileges, and all the property, movable and immovable, including lands, buildings, workshops, stores, instruments, machinery and equipment, bank balances, cash balances, cash on hand, reserve funds, investments and book debts and all other rights and interests in, or arising out of, such property as were immedi...
Tag this Judgment!Court : Gujarat
Reported in : (1979)GLR413; (1979)0GLR413; [1979]118ITR134(Guj)
B.K. Mehta, J.1. These two appeals under s. 269H of the I.T. Act, 1961, at the instance of the Commissioner of Income-tax, Gujarat-II, Ahmedabad, are directed against the common order of the Income-tax Appellate Tribunal, Ahmedabad Bench, Ahmedabad of July 25, 1975, allowing the two appeals filed by the respective respondent-transferees herein from the order of the IAC of Income-tax, Acquisition Range-II, Ahmedabad, passed on January 16, 1975, acquiring two industrial sheds of type-A bearing block Nos. 1/3 and 1/4 situate in the industrial estate set up by the Baroda Industrial Development Corporation (hereinafter referred to as BIDCO' for the sake of convenience) under s. 269F(6) of the aforesaid Act as the fair market value of the respective sheds exceeded the apparent consideration in the respective instruments of transfer of February 5, 1973, and had not been truly stated with the ulterior object of tax evasion and/or facilitating concealment of income or assets. Since the question...
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