land and buildin~ as Sanathnagar, for Rs. 25 bkhs. The pro· pcrty purcha,.cd consisted of 24 acres of land, factory building; and furniture, and the sale deed was executed on February 11, 1948. lt is manifest that within one year of the purchase of !he Brcngun Factory, the assesscc firm realised Rs. J 3,99,753 by the sale of 'tores and Rs. 33,90,908 by the sale of 46 acres of land and buildings, in all making a profit of R>. I J ,90.661. It appears from the balance sheet as on September 30, 1948 that c1·en after the extended date, it still owed Rs. 7 lakhs to the GO\·· ernmcnt though by that time it had sold over Rs. 30 lakhs worth of property. The assessce firm was thus paying off the dues w the Government and also discharging its debts by selling fractions of the property. In other words, the assessee firm was purchasing, sening and liquidating the loans, which would all show the co1ni>1ercial nature of the transaction. These facts establish that the assessee tirin had not enough financial resources to invest Rs. :ib lakhs on the Bren Gun Factory and that the transaction was launched upon with a view to make profit and not as a permanent investment. There is another aspect of the matter to be taken into account. The property income from Bren Gun Fae· tory during the year 1953-54 as would appear from the Assess· ment Orders of the years. 1953-54. 1954-55 was about Rs. 22,00(1 1.Q. The interest on loans on over-drafts is paid to be 4t per cent. on 27 lakhs the balance of price payable to the Government. the annual imcrest would be about Rs. 1,21,500. rt is manifest that the assc,sec ltrm could not have borrowed the money to purcha>.: the property as an investment when the income was about 1/6 of the imcre>t payable on the amount borrowed. Mr. St•l:.,nar Mitra suggc,tcd that the assessec firm intended to develop the Bren Gun Factory as an Industrial Estate and referred w certain correspondence in this connection. But the correspondence ·doc' not cstahlish that any of the foreigri companies agreed to start a cydc factory of their own or in collaboration with the assessce fimi. The correspondence between the parties admitledly ended in February 1946. Mr. Sukumar Mitra also referred to the corre:;p<mdcncc between January 8. 1947 to March 10. 19.t7 hut this l!-ln c..Jo· not show that there was any prospl.'.:ct of the assesscc firm starting a cycle industry or any other industry either solcl\ or in collaboration with a foreign company.