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Interpretation of provision for registration charges as accrued liability against profit. Analysis: The High Court of Delhi was tasked with determining whether the provision of Rs. 97,040 for registration charges by the assessee in its accounts constituted an accrued liability against the profit of the year under consideration. The assessee, a registered firm engaged in construction and sale of flats, claimed this deduction in its return, which was disallowed by the Assessing Officer on the grounds that the liability was not ascertained and appeared to be borne by the flat/shop owners. The Commissioner of Income-tax allowed the appeal, but the Revenue challenged this decision before the Income-tax Appellate Tribunal, arguing that the assessee was not expected to be liable for the expense unless it was ascertained. The Revenue relied on a Division Bench decision and contended that the registration fee claimed as expenses was not incurred during the relevant period, as the assessee maintained its accounts on a mercantile basis. On the other hand, the assessee's counsel argued that the registration charges should be computed on a payable basis to determine profit and loss, citing relevant case laws. The counsel further highlighted a letter from the Delhi Development Authority confirming the assessee's liability for the registration charges, emphasizing that the liability was admitted and could be considered as expenditure for profit determination. However, the court examined the agreement between the assessee and buyers, which clearly stated that all costs and expenses related to registration were to be borne by the buyers, not the assessee. Given this provision in the agreement, the court concluded that the registration charges were the responsibility of the allottees and not the assessee. Therefore, the court held that the assessee could not claim the provision as an admitted liability, as it was aware that it would not have to incur these expenses. Consequently, the court ruled in favor of the Revenue, answering the question in the negative against the assessee. In conclusion, the judgment clarified the treatment of provision for registration charges as an accrued liability against profit, emphasizing the importance of contractual agreements in determining liabilities and expenses for tax purposes. The decision underscored that liabilities must be ascertained and incurred by the assessee to be considered for profit determination, aligning with the specific terms outlined in contractual agreements.
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