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Issues involved: Appeal against order u/s 143(3) of the Income-tax Act, 1961 for Assessment Year 2002-03; Permission required from Committee on Disputes (COD) for raising specific grounds before Tribunal; Addition of provision for diminution in value of investments under section 115JB; Disallowance of prior period expenditure; Disallowance of depreciation on office premises.
Provision for diminution in value of investments: The Tribunal held that provision for diminution in the value of investments cannot be considered as provision for any unascertained liability and cannot be added in computation of book profit under section 115JB, following its own decision and the decision of the Hon'ble Supreme Court. Disallowance of prior period expenditure: The Assessing Officer disallowed the prior period expenditure as the liability was not proven to have crystallized during the year, and the CIT(A) confirmed the disallowance. The Tribunal directed the assessee to provide necessary evidence to determine the year of allowability for the expenses. Disallowed depreciation on office premises: The Assessing Officer disallowed depreciation on the office building as registration formalities were pending, and the possession was not considered to be with the assessee. The CIT(A) upheld the disallowance based on the reasoning for the previous assessment year. However, the Tribunal allowed the depreciation, stating that possession was handed over to the assessee, and registration formalities pending did not affect the claim of depreciation based on previous court decisions. Conclusion: The appeal was partly allowed by the Tribunal, emphasizing the importance of possession and payment in determining the allowability of depreciation, and directing the assessee to provide evidence for prior period expenditure.
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