Tag Archives: IT APPEAL NOS. 3204 & 3316 (MUM.) OF 2016

Date of allotment of property is relevant for Capital Gain and not date of registration of conveyance deed. : ITAT

By | September 12, 2018

In order to determine taxability of capital gain arising from the sale of property, it is the date of allotment of property which is relevant for the purpose of computing holding period and not the date of registration of conveyance deed. The provisions of the Act nowhere states that the option of selecting self occupied… Read More »