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2001 (4) TMI 27 - HC - Income Tax
Issues involved:
The judgment involves a question referred under section 256(1) of the Income-tax Act, 1961 regarding the disallowance of interest by the Income-tax Appellate Tribunal for the assessment year 1976-77.
Details of the Judgment:
1. Disallowance of Interest:
The dispute centered around the disallowance of Rs.51,528 by the Income-tax Officer, representing the variance between the 12% interest charged by the assessee on advances to three parties and the 16% interest paid by the assessee on its borrowings during the assessment year 1976-77. The Income-tax Appellate Tribunal had deleted this disallowance, leading to the reference to the High Court.
2. Background and Facts:
The assessee, a private limited company engaged in manufacturing knitted fabrics, had charged interest at 12% from three parties to whom advances were made during the assessment year. In the previous year, no interest was charged from these parties. The Income-tax Officer found that the assessee paid interest at 16% on its borrowed funds, resulting in the disallowance of the difference between the two interest rates.
3. Tribunal's Decision:
The Tribunal held that the interest paid could not be subjected to a reasonableness test and that the borrowing transactions were genuine, with the borrowed capital being utilized for business purposes. Therefore, the Tribunal concluded that there was no basis for determining a reasonable interest rate to be charged by the assessee.
4. High Court's Decision:
Upon hearing the Revenue's counsel and noting the absence of the assessee, the High Court declined to answer the question referred. The Court upheld the Tribunal's factual finding that the borrowing transactions were legitimate, the borrowed capital was utilized for business, and the interest had been paid. Consequently, the High Court found no legal issue to address and disposed of the reference accordingly.