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2001 (1) TMI 48 - HC - Income Tax

Issues Involved: Interpretation of contract terms for income accrual determination u/s 256(2) of the Income-tax Act, 1961.

Summary:
The High Court of Delhi was tasked with providing an opinion on whether the Income-tax Appellate Tribunal was correct in holding that a specific amount accrued as income for the assessee in the assessment year 1971-72. The dispute arose from a consultancy agreement between the assessee and the Sultan of Oman, Muscat, for the construction of a building. The assessee received payments at different stages, treating a portion as advance and crediting the profit and loss account accordingly. The Income-tax Officer contended that professional fees had accrued to the assessee upon completion of certain contract stages, resulting in taxable income. However, the Appellate Assistant Commissioner and the Tribunal upheld the assessee's method of accounting, which had been consistently accepted in previous years. The Tribunal concluded that the amount in question was indeed an advance based on the factual aspects presented.

Upon review, the High Court found that the Tribunal had duly considered the factual aspects and correctly determined that the amount should be treated as an advance. As such, the Court held that no question of law arose from the Tribunal's order, and therefore declined to answer the referred question. The reference was consequently disposed of.

 

 

 

 

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