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1999 (12) TMI 831 - AT - Income Tax

Issues:
1. Validity of proceedings initiated under section 263 of the Income-tax Act, 1961.
2. Classification of the assessee as an "industrial company" for concessional tax rate.
3. Allowance of depreciation on the flight kitchen building and roads.
4. Allowability of bad debts.

Issue-wise Detailed Analysis:

1. Validity of Proceedings under Section 263:
The assessee challenged the validity of the proceedings initiated under section 263 but did not press this ground at the time of the hearing. Consequently, this ground was rejected.

2. Classification as an "Industrial Company":
The primary contention was whether the assessee's flight kitchen activities qualified it as an "industrial company" eligible for a concessional tax rate of 60% instead of 65%. The Assessing Officer initially accepted the assessee's claim, but the Commissioner of Income-tax disputed this, arguing that the assessee did not meet the conditions for being taxed as an industrial company.

The assessee argued that its flight kitchen, which catered pre-set meals to airlines, involved significant processing activities, including the use of modern kitchen equipment and processing raw materials into finished products. The assessee maintained that these activities constituted manufacturing or processing of goods, thus qualifying it as an industrial company.

The Commissioner referenced the definition of "industrial company" in section 2(6)(d) of the Finance Act, 1968, and relied on the Kerala High Court decision in CIT v. Casino (P.) Ltd. [1973] 91 ITR 289, which held that food preparation did not constitute manufacturing or processing of goods. Consequently, the Commissioner directed the Assessing Officer to tax the assessee at 65%.

The Tribunal considered various judicial precedents, including the Calcutta High Court's decision in CIT v. East India Hotels Ltd. [1994] 209 ITR 854, which allowed a similar claim under section 80J for a flight catering unit. The Tribunal noted the distinction between a hotel/restaurant and a flight kitchen, emphasizing that the latter involved more mechanized production and lacked elements of hospitality and direct customer service.

The Tribunal concluded that the flight kitchen's activities amounted to "processing of goods," thus qualifying the assessee as an industrial company under section 2(8)(c) of the Finance Act, 1974. Since more than 51% of the income was derived from the flight kitchen, the assessee was entitled to the concessional tax rate.

3. Allowance of Depreciation:
The assessee claimed depreciation at 5% on the flight kitchen building and roads, which the Assessing Officer allowed. However, the Commissioner directed a re-computation, considering it an arithmetical issue. The Tribunal upheld the 5% depreciation rate, noting that the flight kitchen was an industrial activity involving significant equipment and processing.

4. Allowability of Bad Debts:
The assessee claimed bad debts of Rs. 2,08,298, out of which the Assessing Officer disallowed Rs. 1,17,448. The Commissioner directed a re-examination of two specific debts, arguing they became bad before the accounting year. The Tribunal noted that the Tribunal had earlier allowed the disallowed bad debts, and there was no reason to re-examine the remaining debts. Consequently, the Tribunal directed that the deduction of Rs. 15,778 be allowed in the year under consideration.

Conclusion:
The appeal was partly allowed, with the Tribunal recognizing the flight kitchen as an industrial activity eligible for a concessional tax rate, upholding the depreciation claim, and allowing the bad debts deduction.

 

 

 

 

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