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1997 (12) TMI 19 - HC - Income Tax

Issues:
- Disallowance of commission paid to managing director and other directors in the computation of agricultural income.
- Interpretation of commission paid to directors as a deductible expense.
- Determination of whether directors are entitled to share profit and loss equally.
- Consideration of company as a separate legal entity from directors.

Analysis:
The High Court of Madras addressed a tax case revision concerning the disallowance of commission paid to the managing director and other directors in the computation of agricultural income for the assessment year 1984-85. The Commissioner of Agricultural Income-tax disallowed the commission, arguing that as the directors were shareholders entitled to share profits and losses equally, the commission could not be deducted as an expense. The court noted that in previous cases, it had allowed deductions for commission paid to directors, emphasizing that such payments could be considered as legitimate expenses if made for services rendered to the company.

The court considered the nature of the commission paid to directors, stating that it could be viewed as a form of salary for services provided to the company. The court highlighted that the company and its directors are distinct legal entities, with directors not automatically entitled to share profits but rather receiving dividends based on company decisions. It was emphasized that if directors rendered services to the company, payments to them could be considered legitimate business expenses, even if styled as commissions. The court rejected the Commissioner's reasoning that directors sharing profits precluded commission payments, asserting that valid contracts could exist between companies and directors for salary or commission payments based on services rendered.

Ultimately, the court held that the Commissioner's disallowance of the commission was erroneous, citing previous judgments allowing such deductions within legal limits. The court overturned the Commissioner's order and allowed the tax case revision, ruling in favor of the assessee. The judgment underscored the distinction between directors and the company, affirming the company's right to claim legitimate expenses for services rendered by directors, regardless of profit-sharing arrangements.

 

 

 

 

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