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2006 (7) TMI 187 - HC - Income Tax

Issues Involved:
1. Whether the Tribunal is correct in law in holding that on computer, investment allowance and additional depreciation are not allowed?
2. Whether, on the facts and in the circumstances of the appellant's case, the Tribunal is justified in law in holding that the computer installed and used in the factory premises of the appellant is not entitled to investment allowance and additional depreciation?
3. Whether, on the facts and in the circumstances of the appellant's case, the Tribunal is justified in law in holding that the computer installed in the factory premises is not a part of the manufacturing machinery since it itself does not manufacture or produce any article or thing dealt by the assessee?

Detailed Analysis:

Issue 1: Investment Allowance and Additional Depreciation on Computers

The assessee, an engineering company, installed a computer system in its factory premises and claimed depreciation and investment allowance under sections 32 and 32A of the IT Act, 1961. The AO disallowed the claim, stating that the computers were used for accounting purposes and did not qualify for the special rate of depreciation applicable to computers. The appellate CIT allowed the claim, relying on decisions from the Bombay High Court that considered computers as plants facilitating business operations. However, the Tribunal reversed this decision, citing that the computers did not produce any material or thing for the business, thereby disqualifying them from investment allowance and additional depreciation under sections 32(1)(2)(a) and 33A of the IT Act.

Issue 2: Entitlement to Investment Allowance and Additional Depreciation

The Tribunal's decision was based on the view that the computer system was used for accounting purposes, such as maintaining stock of raw materials and finished goods, rather than for manufacturing or production. The Tribunal referenced the Calcutta High Court's decisions, which held that computers used solely for accounting do not qualify for investment allowance. However, the High Court of Jharkhand examined various judgments, including those from the Karnataka and Bombay High Courts, which recognized that computers used for data processing and facilitating business operations could be considered part of the manufacturing process and thus eligible for investment allowance and depreciation.

Issue 3: Classification of Computers as Manufacturing Machinery

The High Court analyzed several precedents, including the Karnataka High Court's decision in CIT vs. Datacons (P) Ltd., which held that data processing activities amount to 'processing of goods,' qualifying the company as an industrial undertaking. The Bombay High Court in CIT vs. IBM World Trade Corpn. also held that data processing machines are not mere office appliances but rather complicated machinery eligible for development rebate. The Calcutta High Court in CIT vs. Fort Gloster Industries Ltd. found that computers used for processing raw materials and monitoring production details are part of the manufacturing process, thus qualifying for investment allowance.

Conclusion:

The High Court concluded that the assessee's computer system, used for processing raw materials, data, wages, and monitoring production, qualifies as part of the manufacturing machinery. Therefore, the assessee is entitled to investment allowance and additional depreciation. The Tribunal's view that computers used for accounting purposes do not qualify was distinguished based on the specific facts of the case and relevant judicial precedents. The questions were answered in the affirmative, favoring the assessee.

 

 

 

 

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