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2001 (8) TMI 39 - HC - Income Tax

Issues Involved: The judgment addresses the nexus between the income received by the official liquidator and the expenses incurred during winding up proceedings.

Summary:

Issue 1: Nexus between Income and Expenses
The court emphasized that the official liquidator, appointed by the company court during winding up proceedings, operates under the court's supervision and is responsible for managing the company's assets. The expenses incurred by the official liquidator, such as staff salaries, legal charges, and establishment costs, are essential for the efficient continuation of the winding up proceedings. The income earned by the official liquidator from deposits and dividends is directly related to the ongoing proceedings and is considered part of the amounts to be distributed among creditors and contributories. Therefore, the expenses incurred by the official liquidator have a clear nexus with the income received, and are necessary for determining the net taxable income of the company in liquidation.

The Tribunal's decision was deemed erroneous, and it was held that the appellant is entitled to claim various expenses, including audit fees, establishment charges, government commission, legal fees, taxes, and staff salaries, as deductible expenditures for the assessment years 1990-91 and 1991-92. The court ruled in favor of the assessee and awarded costs amounting to Rs.1,500.

 

 

 

 

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