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Issues:
Interpretation of liability incurred due to devaluation of Indian rupee for foreign suppliers in assessment years 1971-72 and 1972-73. Analysis: The High Court of Delhi addressed the issue of whether the liability incurred by an assessee company to foreign suppliers, amounting to Rs.29,269 due to the devaluation of the Indian rupee, was a liability pertaining to the assessment year 1972-73. The assessee, acting as a representative, had imported transformers for the Bihar State Electricity Board in 1965-66. The Indian rupee devalued before the full payment was made, and the foreign supplier demanded payment based on the devaluation rate. The Government of India intervened, directing the assessee to pay the amount in the interest of Indo-Romanian relations. The assessee made partial payments in 1972-73 and the remaining in 1973-74. The Revenue contended that the deduction could not be allowed as the assessee failed in its contractual obligations. The Tribunal held that the claim could only be considered in the years when the amounts were actually paid, rejecting the plea for reference. The High Court concurred, stating that no question of law arose from the Tribunal's order as it was based on factual findings. In conclusion, the High Court dismissed the references, emphasizing that the Tribunal's decision was factual and did not raise any legal questions warranting further analysis. The court upheld the Tribunal's view that the liability in question could only be considered in the years when the payments were made, based on the factual circumstances surrounding the case. The judgment highlights the importance of factual analysis in determining the tax implications of liabilities incurred due to currency devaluation, emphasizing the need for payments to be made before claiming deductions in the relevant assessment years.
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