22 Capital gains : Assessee deriving
  income from sale of milk : Sale of calves : Cost of acquisition not
  ascertainable : Capital gain not chargeable to tax.
  
[Dy. CIT v. Smt. Suniti Singh, 215 CTR 326 (MP)]
The assessee was running a dairy and was deriving income
  from sale of cow milk. In the relevant year, the assessee had sold calves. The
  assessee claimed that the profit on sale of calves is not chargeable to tax as
  the cost of acquisition is not ascertainable. The Assessing Officer observed
  that the assessee had claimed depreciation on calves forming a part and parcel
  of the live stock and, therefore, it was stock in trade of the assessee and
  income from the sale of such stock in trade is liable to tax. Accordingly, the
  Assessing Officer made an addition of Rs.68,000. The Tribunal accepted the
  assessee’s claim and deleted the addition.
On appeal by the Revenue, the Madhya Pradesh High Court
  upheld the decision of the Tribunal and held as under :
“(i) The business of the assessee relates to sale of milk
    and the female cows constitute assets and they are exploited for production
    of milk. The primary motive of the assessee is to fertilise the cows so that
    they can yield milk. The income is derived through sale of milk and all
    expenses which have gone into are to upkeep them and maintenance of cows,
    like purchase of fodder, medicines, etc. are exclusively designed for
    obtaining milk and the said expenditure has been shown as revenue
    expenditure in the P&L a/c.
(ii) The calves came into being in the process so that
    the female cows can be utilised to produce and eventually the milk is sold.
    The male calves are sold as they are of no value to the assessee as they
    cannot produce milk. There is no material on record to show that the selling
    of calves is a part of the business activity of the assessee. Facts brought
    on record clearly show that the asessee is engaged in the business activity
    which relates to sale of milk. 
(ii) The Tribunal is right in holding that the sale of
    calves by the assessee cannot be regarded as capital gain since the cost of
    acquisition is not ascertainable.”