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1998 (4) TMI 78 - HC - Income Tax

Issues Involved:
1. Department's query on treatment of interest, guarantee commission, and commitment charges.
2. Assessee's query on deduction of special reserve under section 36(1)(viii) of the Act.

Department's Query:
The High Court of Madras addressed a query raised by the Department regarding the treatment of interest, guarantee commission, and commitment charges kept in suspense account as the assessee's income liable to tax. The court referred to previous decisions supporting the Department's stance, concluding that such amounts should indeed be considered as income and subject to taxation.

Assessee's Query - Section 36(1)(viii) Interpretation:
The case involved the interpretation of section 36(1)(viii) of the Act concerning the deduction of a special reserve created by a financial corporation. The court analyzed the legislative history and emphasized that the reserve must be created from the total income of the relevant previous year for deduction eligibility. It was clarified that surplus reserves from earlier years cannot be used to claim deductions in subsequent years, as this would defeat the legislative intent behind the provision. The court upheld the Tribunal's decision, ruling in favor of the Department and directing the assessee to pay costs to the Revenue.

This judgment provides a detailed analysis of the legal issues surrounding the treatment of specific financial transactions and the interpretation of relevant tax provisions, ensuring clarity on the application of the law in such matters.

 

 

 

 

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