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Issues involved: Interpretation of deductions u/s 80HHC including interest on refunds and loans in total turnover.
Summary: The High Court of BOMBAY considered whether the Department was correct in recomputing deductions u/s 80HHC by including interest on refunds and loans in the total turnover. The Tribunal had excluded these items, leading to the Department's appeal. The Department argued that all items except freight and insurance should be included in the total turnover as per the plain words of the section. They relied on a Supreme Court judgment for support. On the other hand, the assessee's counsel contended that interest on refunds and loans were not assessable as business income but under "Income from other sources." The Court found merit in the assessee's contentions as the authorities had previously ruled in favor of the assessee. The deduction for export profits under u/s 80HHC(3)(b) was to be calculated based on specific criteria, and the Department failed to challenge the factual findings of the lower authorities. Consequently, the Court dismissed the appeal, upholding the findings of the authorities below.
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