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Issues:
1. Allowability of expenditure on silver items as business expenditure. 2. Allowability of investment allowance on specific items. 3. Disallowance under section 43B of the Income-tax Act. Allowability of Expenditure on Silver Items: The Tribunal found that the expenditure on silver items, presented as gifts to engineers of Siemen Company, was a business expenditure to improve relations and was allowable under section 37 of the Income-tax Act. The Tribunal noted that the gifts were given as a token of regard for the engineers' work in installing a new unit at the assessee's premises. The High Court upheld the Tribunal's decision, stating that the expenditure was indeed a business expense and thus allowable. The court ruled in favor of the assessee on this issue. Allowability of Investment Allowance: The Tribunal upheld the claim for investment allowance on air-conditioner, water-cooler, and weighing bridge, following its previous decision in a similar case. The High Court referred to earlier judgments to support the allowance of investment in machinery and equipment necessary for the manufacturing process. The court cited cases where various equipment, including tube-wells and weighing machines, were considered eligible for investment allowance. Consequently, the High Court ruled in favor of the assessee on this issue as well. Disallowance under Section 43B of the Income-tax Act: The High Court found that the issue of disallowance under section 43B was covered in favor of the assessee by a judgment of the Supreme Court and a previous decision of the High Court. The court noted that since the Tribunal's decision was based on the judgments of higher courts, no error was found in the Tribunal's decision. Therefore, the High Court decided this question in favor of the assessee and against the Revenue. The reference was disposed of accordingly.
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