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2011 (10) TMI 592 - AT - Income Tax

Issues involved: Appeal against orders of Commissioner of Income Tax (Appeals) for assessment years 2004-05 to 2006-07, deletion of addition on account of bad debts u/s 36(2)(i) and expenditure debited under quality rejections.

Assessment Year 2004-05 - Bad Debts:
The assessee claimed deduction for bad debts amounting to Rs. 24,59,873/- relating to past supplies to Raduja International Limited. The Assessing Officer added this amount as income, questioning the satisfaction of conditions u/s 36(2)(i). However, the Commissioner of Income Tax (Appeals) deleted the disallowance, citing the Supreme Court's decision in TRF Ltd. The Tribunal upheld the decision, emphasizing that the amendment to section 36(1)(vii) post-1.4.1989 only requires the debt to be written off as irrecoverable in the books, not necessarily proven as bad. The Assessing Officer can inquire into the genuineness of the write-off entry but cannot demand infallible proof. The Tribunal confirmed the deletion of the addition, citing various judicial precedents.

Assessment Year 2004-05 - Expenditure Debit under Quality Rejections:
The Assessing Officer disallowed Rs. 20,19,600/- claimed as expenditure debited under quality rejections, as it was not credited to the customer's account and lacked satisfactory explanation. However, the Commissioner of Income Tax (Appeals) found the disallowance unjustified, noting that the genuineness of the claim was supported by documents and correspondence with the customer. The Tribunal upheld this decision, as the rejection of material by Ukrainian authorities was not challenged, and the claim's authenticity was not in doubt.

Assessment Year 2005-06 and 2006-07:
The grounds raised by the revenue for bad debts in these assessment years were dismissed following the same reasoning as in 2004-05, as the facts were identical. The appeals of the revenue were found to have no merit and were dismissed accordingly.

Cross Objections by the Assessee:
The cross objections challenging the validity and service of notice and initiation of assessment proceedings were dismissed, as the Tribunal found no infirmity in the Commissioner of Income Tax (Appeals)'s conclusion. Therefore, the appeals of the revenue and the cross objections of the assessee were both dismissed.

 

 

 

 

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