| 1[11UAE.Computation  of Fair Market Value of Capital Assets for the purposes of section 50B of the  Income-tax Act. (1) For the purpose of clause  (ii) of sub-section (2) of section 50B, the fair market value of the capital  assets shall be the FMV1 determined under sub-rule (2) or FMV2 determined under  sub-rule (3), whichever is higher.  (2) The FMV1 shall be the fair  market value of the capital assets transferred by way of slump sale determined  in accordance with the formula –  A+B+C+D - L, where, A= book value of all the assets  (other than jewellery, artistic work, shares, securities and immovable property)  as appearing in the books of accounts of the undertaking or the division  transferred by way of slump sale as reduced by the following amount which relate  to such undertaking or the division, —  (i) any amount of income-tax  paid, if any, less the amount of income-tax refund claimed, if any; and  (ii) any amount shown as asset  including the unamortised amount of deferred expenditure which does not  represent the value of any asset; B = the price which the jewellery  and artistic work would fetch if sold in the open market on the basis of the  valuation report obtained from a registered valuer;  C = fair market value of shares  and securities as determined in the manner provided in sub-rule (1) of rule  11UA; D = the value adopted or assessed  or assessable by any authority of the Government for the purpose of payment of  stamp duty in respect of the immovable property; L= book value of liabilities as  appearing in the books of accounts of the undertaking or the division  transferred by way of slump sale, but not including the following amounts which  relates to such undertaking or division, namely: —  (i) the paid-up capital in  respect of equity shares;  (ii) the amount set apart  for payment of dividends on preference shares and equity shares where such  dividends have not been declared before the date of transfer at a general body  meeting of the company;  (iii) reserves and surplus, by  whatever name called, even if the resulting figure is negative, other than those  set apart towards depreciation;  (iv) any amount representing  provision for taxation, other than amount of income-tax paid, if any, less the  amount of income-tax claimed as refund, if any, to the extent of the excess over  the tax payable with reference to the book profits in accordance with the law  applicable thereto;  (v) any amount representing  provisions made for meeting liabilities, other than ascertained liabilities;  (vi) any amount representing  contingent liabilities other than arrears of dividends payable in respect of  cumulative preference shares. (3) FMV2 shall be the fair market  value of the consideration received or accruing as a result of transfer by way  of slump sale determined in accordance with the formula- E+F+G+H, where, E = value of the monetary  consideration received or accruing as a result of the transfer;  F = fair market value of  non-monetary consideration received or accruing as a result of the transfer  represented by property referred to in sub-rule (1) of rule 11UA determined in  the manner provided in sub-rule (1) of rule 11UA for the property covered in  that sub-rule;  G = the price which the  non-monetary consideration received or accruing as a result of the transfer  represented by property, other than immovable property, which is not referred to  in sub-rule (1) of rule 11UA would fetch if sold in the open market on the basis  of the valuation report obtained from a registered valuer, in respect of  property;  H = the value adopted or assessed  or assessable by any authority of the Government for the purpose of payment of  stamp duty in respect of the immovable property in case the non-monetary  consideration received or accruing as a result of the transfer is represented by  the immovable property.  (4) The fair market value of the  capital assets under sub-rule (2) and sub-rule (3) shall be determined on the  date of slump sale and for this purpose valuation date referred to in rule 11UA  shall also mean the date of slump sale.  Explanation. -For the purposes of  this rule, the expression "registered valuer" and  "securities" shall have the same meanings as respectively assigned to  them in rule 11U.]     Amendment-   	 1. Inserted by The Income- tax  (16th Amendment) Rules, 2021. |